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The Italian Revenue Agency has issued Circular No. 17/E of 29 July 2024, which clarifies the participation exemption for capital gains from the sale of shareholdings by qualifying non-resident companies. As part of the Budget Law for 2024, the domestic participation exemption (95% exemption) for capital gains on the disposal of qualifying shareholdings was extended so that it is also available for qualifying non-resident companies without a permanent establishment in Italy that meet the following conditions: resident in another EU Member State or an EEA country that has adequate exchange of information with Italy; and subject to corporate income tax...