Capital gains. Any capital gain realised upon the sale for consideration or redemption of Notes would be treated for the purpose of corporate income tax and of individual income tax as part of the taxable business income of Noteholders (and, in certain cases, depending on the status of the Noteholders, may also be included in the taxable basis of IRAP), and therefore subject to tax in Italy according to the relevant tax provisions, if derived by Noteholders who are:
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Samples: Avviso Di Borsa, Admission to Negotiations and Start of Conclusion Phase of Conditional Contracts, Borsa Italiana Comunicato