Publications

Chambers Europe 2021

Chambers and Partners – Chambers Europe 2021 FDMA’s tax department is the exclusive contributor in the Chambers Europe 2021 – Practice Area Overview. We are referring to recently adopted “non-dom” regimes, aiming to attract foreign tax residents (HNWI, pensioners and paid employees) to transfer their tax residency in Greece as well as to newly introduced …

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7ο Taxation Law Forum Palladian Conferences

7ο Taxation Law Forum Palladian Conferences Our partner, Petros Pantazopoulos, was one of the speakers at the 7th Taxation Law Forum, organized by Palladian Conferences, which took place in N.J.V. ATHENS PLAZA.  on the 22nd of October 2020. Petros delivered a speech on the effect of the development of digital economy, but also the Pandemic …

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7th Annual Conference of Public Law

7th Annual Conference of Public Law Our associate, Katerina Kalampaliki participated at the 7th Annual Conference organized by the Hellenic Association of Public Law, which took place on 30th June and 1st July 2020 digitally. Katerina delivered a speech on the subject “Critical issues with regard to the determination of the tax residence of physical …

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Interpretation issues arising in the implementation of the article 66 of the Code of Tax Procedures (L. 4174/2013) with regard to the receipt of fictitious invoices

Interpretation issues arising in the implementation of the article 66 of the Code of Tax Procedures (L. 4174/2013) with regard to the receipt of fictitious invoices Our Founding Partner, George Mylonogiannis, analyzes the interpretation issues arising in the implementation of article 66 of the Code of Tax Procedures (L. 4174/2013) with regard to the receipt …

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The permanent establishment

The permanent establishment Dr Petros Pantazopoulos, Head of our Tax Practice in his latest contribution in the Law Journal “Enterprise”, Issue 4 April/2020 analyzes the concept of the permanent establishment along with the differences arising in its definition in direct and indirect taxation. See the article here: Enterprise_4.2020

Amendments enacted in Greek Interest Deduction Limitation Rules, CFC rules, and the GAAR following the transposition of the ATAD in Greece

Amendments enacted in Greek Interest Deduction Limitation Rules, CFC rules, and the GAAR following the transposition of the ATAD in Greece Head of our Tax Practice, Petros Pantazopoulos and associate, Katerina Kalampaliki, analyze the amendments enacted in the Greek Interest Deduction limitation Rules, Controlled Foreign Company (CFC) Rules, and the General Anti – Avoidance Rules (GAAR) following …

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