In this note, the author discusses recent clarifications released by the Italian tax authorities on the determination of foreign tax credits under the Italy-United States Income Tax Treaty (1999) and article 165(10) of the TUIR.
In this note, the author discusses recent clarifications released by the Italian tax authorities on the determination of foreign tax credits under the Italy-United States Income Tax Treaty (1999) and article 165(10) of the TUIR.