REALWorld Law

Real estate finance

Restrictions on payments to foreign lenders

Are there any restrictions on re-payments being made to a foreign lender under a security document or loan agreement?

Italy

Italy

In principle, interest on loans paid by an Italian resident borrower to a non-resident lender are subject to source taxation in Italy. The Italian borrower must apply a final withholding tax at a rate that varies depending on the residency of the lender (ie within or outside the European Union), levied on the gross amount of the interest paid. The final withholding tax is not applicable if the foreign lender has an Italian permanent establishment. In such case, interest received by the foreign lender through its Italian permanent establishment is qualified as 'business income' and taxed accordingly in Italy.

Please note that – save for the regulatory Italian rules concerning the reserve for carrying out lending activities – interests paid by Italian companies under medium- and long-term facilities made available by:

  • Financial institutions (enti creditizi) established in any European Member States;
  • Entities identified in Article 2, paragraph 5, from no. 4) to 23), of the EU Directive 2013/36/EU;
  • Insurance companies incorporated and authorized under regulations of any European Member States;
  • Foreign institutional investors (whether or not considered liable to tax (soggettività tributaria) under Italian laws) which are regulated entities (ie subject to the control of supervisory authorities) in countries guaranteeing adequate exchange of information with the Republic of Italy;

are exempt from any withholding tax.

Moreover, the abovementioned withholding tax can be reduced to zero in case of payment to EU resident lender if the conditions provided by the Interest and Royalty EU Directive (ie Directive 49/CE dated 3 June 2003) are met.

If the abovementioned exemptions are not applicable, the domestic withholding tax can be reduced according to the provisions set forth by the relevant double-tax treaty (ie DTT). Usually, DTTs signed between Italy and other countries reduce the amount of the withholding tax applicable to a reduced rate where certain conditions are satisfied.