Download presentation
Presentation is loading. Please wait.
Published byAlisha Wilkinson Modified over 8 years ago
1
26 February 2008 Beatrice Puoti-ffiske STEP Italy – The use of English Trust Structures
2
Fiscal Aspects of Trusts in Italy GENERAL Law 296/2006, Circolare 48/E 6 August 2007 Circolare 3/E 22 January 2008 Applicability to Trusts and “Similar Institutions”
3
Residence Place of administration Main object Legal seat Deemed residence if: Italian resident Settlor, Italian resident Beneficiary and not white listed Trustee; or Italian Resident adds Italian real estate Proof to the contrary
4
Direct Taxes IRES Opaque trusts – discretionary Transparent trusts – fixed income interest Revocable trusts – settlor Income taxed on trust – not taxed on Beneficiary Income distributed to Beneficiaries only taxed if within one of the income categories for Italian purposes
5
Indirect Tax IMPOSTA DI REGISTRO/CATASTALE Creation of trust – if no transfer of value - €168 Transfer of value – usual provisions GIFT TAX/INHERITANCE TAX Transfer of assets into trust – purpose trust, discretionary trust, non-related Beneficiaries - 8% If final Beneficiaries determined – rate depends on blood relationship Transfer of assets to Beneficiaries – no further tax No tax on transfer of family company or shares to family members
6
Pre Immigration Succession Planning Tax Planning Family and Protection
7
Examples of Structures Italian Client UK Gov Law Trust White List Trustee Offshore Company Assets Italian Beneficiaries Protector Investment Advisor
8
Examples of Structures UK Trustee Swiss Trustee UK Trust Offshore Company Assets Italian Client Protector Investment Advisor Italian Beneficiaries
9
UK Non Dom Changes Assets in Own Name – New Rules Offshore Structures – New Rules
10
Assets in Own Name – New Rules £30K per annum –After 7 out of 9 years –Opt in and out –To pay or not to pay? –US citizens –Still cannot remit Must claim remittance basis Definition of remittance widened
11
Assets in Own Name – New Rules cont’d Source ceasing Alienation Lose personal allowances Rate of CGT 18% Entrepreneurs Relief Loss of Indexation Relief No Loss Relief Reporting
12
Offshore Structures – New Rules Reporting CGT Transparent – Beware UK Assets Remittance basis for capital payments Matching with past gains and capital payments since 1998/1981 Gains in offshore companies taxed twice? No Loss Relief Still IHT free
Similar presentations
© 2025 SlidePlayer.com. Inc.
All rights reserved.