Recent Developments for Spanish Corporate Taxpayers

Published on Dec 23, 2024

  • - Adoption of the OECD’s Pillar Two legislation through a new Impuesto Complementario.
  • - Reintroduction of corporate income tax measures declared unconstitutional. These measures include limitations to the use of net operating losses and double tax credits, as well as a fictional reversal of deductible impairment losses on shares.
  • - Limitations introduced in 2023 on offsetting tax losses within consolidated groups extends to 2024 and 2025.
  • - Significant changes to the capitalization reserve have been approved.
  • - Renewal or creation of taxes for certain companies.

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