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Juan Pablo Menna

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Juan Pablo Menna is a partner in the Tax Practice Group in Baker McKenzie, Buenos Aires. He is a member of the Buenos Aires Bar Association and the Argentine Association of Fiscal Studies, and was a professor in Austral University.

In brief Federal Tax Authority (FTA) General Resolution No. 4930/2021 (“Resolution”) was published in the Official Gazette on 8 February 2021, regulating the procedure to assess and pay the Solidarity and Extraordinary Contribution to Help Mitigate the Effects of the Pandemic created by Law No. 27,605 (“Contribution”), as well as…

Federal Tax Authority (FTA) General Resolution No. 4930/2021 (“Resolution”) was published in the Official Gazette on 8 February 2021, regulating the procedure to assess and pay the Solidarity and Extraordinary Contribution to Help Mitigate the Effects of the Pandemic created by Law No. 27,605 (“Contribution”), as well as certain clarifications related to information regimes related to the Contribution.

In brief On 8 January 2021, the City of Buenos Aires published Law No. 6,392 (“Law”) in the Official Gazette, through which a new Regime of Promotion of Information Technologies and Communications (“Regime”) was created. The Law establishes deferrals for payment and/or exemptions for Gross Receipt Tax (GRT) purposes, such…

On 7 January 2021, the City of Buenos Aires published Law No. 6,394 (“Law”) in the Official Gazette, through which it adhered to the Regime for the Promotion of the Knowledge Economy (“Regime”), created by national Law No. 27,506.

The Law establishes different reductions for the applicable Gross Receipt Tax (GRT) rates, depending on the commitments assumed by the beneficiaries of the Regime.

In brief The Federal Tax Authority (‘FTA’) extends the suspension of procedural legal terms between 17 and 30 August 2020. Contents In more detail  On 20 August 2020 the FTA published in the Official Gazette General Resolution No. 4794/2020, declaring an extraordinary suspension of procedural legal terms between 17 and 30 August 2020. Therefore,…