Abstract
Deduction of expenses for income tax purposes for corporate entities, considering the application of the principle of universality of liabilities in relation to the principle of patrimonial involvement. Analysis of the decision of the Supreme Court of Justice in “INC SA” regarding the deduction of interest and exchange differences originated by the purchase of stock packages. Deduction of interest generated by the issuance of negotiable debt securities by law 23.576.
Published Version
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