Davide Anghileri
Davide Anghileri is a PhD candidate at the University of Lausanne, where he is writing his thesis on the attribution of profits to PEs. He researches transfer pricing issues and lectures for the Master of Advanced Studies in International Taxation and Executive Program on Transfer Pricing.
Anghileri, a Contributing Editor at MNE Tax, previously worked as a policy advisor to the Swiss government on BEPS issues.
Davide can be reached at [email protected].
Latest posts by Davide Anghileri (see all)
- Swiss government approves new law governing tax treaties - November 11, 2020
- EU states’ compliance with tax avoidance directives assessed in Commission report - August 26, 2020
- Italy clarifies VAT reporting obligations of online marketplaces - June 16, 2020
- EU blacklist: Cayman Islands added with other three jurisdictions - February 18, 2020
- Italy adopts digital services tax, notional interest deduction - January 8, 2020
Gian Luca Nieddu
Gian Luca Nieddu is a Chartered Public Accountant focused on international taxation matters, with specific skills in transfer pricing and value chain (re)structuring.
For several years he has been assisting multinational groups, both Italian and foreign, in their cross-border operations. He has also acquired expertise in global expansion projects for companies which have developed and maintain business in foreign markets as well as competencies on IP box regimes. Relevant is the activity on international tax controversy matters.
He is Partner at Hager & Partners where he leads the Transfer Pricing and Tax Value Chain department. He is also Chief Executive Officer at TP Advisory S.r.l. (the business advisory company of Hager&Partners) and covers the role of Transfer Pricing and Cross-Border Strategies Leader.
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E: [email protected]
T: +39 02 7780711
Office: Via Borgogna, 2 – 20122 Milano (Italy)
Latest posts by Gian Luca Nieddu (see all)
- Italy’s Supreme Court rules on VAT treatment of intercompany management fees - May 21, 2020
- Italy addresses tax treatment of third-party payments under patent box rules - May 5, 2020
- Italian Revenue clarifies new reporting option for patent box tax benefit - October 1, 2019
- Takeaways from Italy’s new transfer pricing country profile - June 28, 2019
- Italian Supreme Court rejects Luxembourg company tax appeal, finds parent-subsidiary directive inapplicable - February 25, 2019
E: [email protected]
T: +39 02 7780711
Office: Via Borgogna, 2 – 20122 Milano (Italy)
Raffaele Russo
Latest posts by Raffaele Russo (see all)
Angela Valente
Latest posts by Angela Valente (see all)
- Italy updates transfer pricing regulations - December 7, 2020
Diego Conte
Latest posts by Diego Conte (see all)
- Italy updates transfer pricing regulations - December 7, 2020
Alessandro Foti
Latest posts by Alessandro Foti (see all)
- Italy updates transfer pricing regulations - December 7, 2020
Latest posts by Giuliana Polacco (see all)
- Italy makes recent changes to cooperative compliance tax regime - March 28, 2022
- Italian Revenue Agency provides tax guidance on CFC legislation - January 6, 2022
- Italy draft guidance clarifies transfer pricing documentation requirements - October 5, 2021
- Italian revenue agency’s new tax assessment guidelines affect multinationals - July 6, 2021
- New Italian guidance addresses digital service tax details - March 30, 2021
Latest posts by Annarita DeCarne (see all)
- Italy makes recent changes to cooperative compliance tax regime - March 28, 2022
- Italian Revenue Agency provides tax guidance on CFC legislation - January 6, 2022
- Italy draft guidance clarifies transfer pricing documentation requirements - October 5, 2021
- Italian revenue agency’s new tax assessment guidelines affect multinationals - July 6, 2021
- New Italian guidance addresses digital service tax details - March 30, 2021
Latest posts by Daniele Majorana (see all)
- Italian tax agency’s participation exemption interpretation: bull in the china shop - September 16, 2021
- Italian tax authorities accuse Booking.com of VAT fraud - June 30, 2021
Latest posts by Francesco Drago (see all)
Latest posts by Camilla Cominelli (see all)
Latest posts by Michele Targa (see all)
- ECJ AG’s opinion on issues relating to protection of legal privilege in the context of exchange of information obligations under DAC6 - April 19, 2022
- Italy tax agency issues circular on transfer pricing documentation rules - December 9, 2021
- Italy introduces new patent box regime - October 27, 2021
- Italy-France tax treaty’s interaction with parent-subsidiary EU directive - October 19, 2021
Latest posts by Luca Tortorella (see all)
- ECJ AG’s opinion on issues relating to protection of legal privilege in the context of exchange of information obligations under DAC6 - April 19, 2022
- Year-end transfer pricing adjustments and DAC6 obligations in Italy: an additional administrative burden for MNEs? - February 8, 2022
- Italy tax agency issues circular on transfer pricing documentation rules - December 9, 2021
- Italy introduces new patent box regime - October 27, 2021
Latest posts by Diletta Fuxa (see all)
Italy international tax and transfer pricing expert authors