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Portrait ofVittoria Segre

Vittoria Segre

Partner

CMS Adonnino Ascoli & Cavasola Scamoni
Via A. Depretis 86
00184 Rome
Italy
Languages Italian, English

Vittoria Segre joined the firm in 2012.

With a background in economics, she mainly deals with international taxation and transfer pricing, Advance Pricing Agreements (APAs) and Mutual Agreement Procedures (MAPs); in this context, she provides support and assistance during tax audits and the resolution of tax disputes.

She provides tax advice to Italian companies and multinational groups, with a particular focus on those operating in the renewable energy sector.

She also provides tax advice to high-net-worth individuals.

She is interested in ESG issues and the related transfer pricing implications.

In 2013-2014 she was seconded to the CMS offices in Munich and Berlin.

She is a secretary member of the International Tax Commission of the Order of Chartered Accountants and Accounting Experts of Rome, Sub-commission Transfer Pricing.

She is a lecturer at the Rome School of Chartered Accountants.

She is a speaker at conferences and seminars in Italy and abroad on transfer pricing, MAPs and APAs.

She is the author of articles and publications on tax matters in professional journals.

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Education

  • 2013-2014 Secondment in the CMS Hasche Sigle di Munich and Berlin offices 
  • 2009 – admitted to the Registry of Certified Public Accountants, Auditors and Advisors of Rome
  • 2008 -“Principles of International and Comparative Taxation” - I.B.F.D. International Tax Academy - (Amsterdam, The Netherlands)
  • 2005 – Roma Tre University, 2nd level master's degree in business consulting
  • 2004 – Roma Tre University, Degree in Business Administration, cum laude
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Feed

23/10/2022
Tax credit also extended to foreign source dividends
With the recent judgment No. 25698/2022, the Supreme Court addressed the case of an Italian resident individual who receives income directly - i.e., without the intervention of an intermediary - from...
18/10/2022
Deed taxes halved also for non-resident open-ended real estate funds
The Court of Cassation, with the recent case no. 28595/2022, transposed what was ruled by the Community judges of the CJEU in joined cases C-478/19 and C-479/19 stating that the benefit that allows the...
11/07/2022
CMS wins in a landmark Court of Cassation case for the refund of Italian...
26/05/2022
The Italian Revenue Agency and Supreme Court issue guidelines on the application...
On May 24, the Italian Revenue Agency published a Circular Letter (n. 16/E of 5.24.20221) which provides important guidelines on the correct interpretation of the concept of “arm’s length range”...
28/03/2022
Italian court recognises retroactive exemption on dividends to foreign...
In judgment No. 49/2022, the first instance Court of Pescara recognised that distribution of dividends from a resident company to a non-resident fund must be granted with an exemption regime from the...
28/03/2022
Italian court recognises retroactive exemption on dividends to foreign...
In judgment No. 49/2022, the first instance Court of Pescara recognised that distribution of dividends from a resident company to a non-resident fund must be granted with an exemption regime from the...
07/03/2022
The Energy Decree reopens the terms for the revaluation of non-listed participations
Decree n. 17/2022 has eventually reintroduced the special tax regime that allows the step-up of participations held in non-listed companies by individuals for capital gain tax purposes. This special...
04/03/2022
The Energy Decree reopens the terms for the revaluation of non-listed participations
Decree n. 17/2022 has eventually reintroduced the special tax regime that allows the step-up of participations held in non-listed companies by individuals for capital gain tax purposes. This special tax...
07/01/2021
The Italian Revenue Agency broadens the tax definition of "regulated markets"
The Italian Revenue Agency (“ITA”), with Circular Letter no. 32/E, 24 December, has properly defined the notion of "regulated markets" in the field of income tax. The criteria for identifying regulated...
25/11/2020
Tax regime of foreign investment funds equated to Italian funds
The current Italian domestic rules provide for the exemption from corporate income tax only for dividends and capital gains received by investment funds established in Italy, while those received by investment...
24/11/2020
Tax regime of foreign investment funds equated to Italian funds
The current Italian domestic rules provide for the exemption from corporate income tax only for dividends and capital gains received by investment funds established in Italy, while those received by investment...
26/10/2020
Carried interest - Latest trends of the Italian Tax Authority
This contribution, following our previous publications for a general examination of the discipline (here), as well as for the previous guidelines of the Financial Administration on the subject (here)...