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to Italy will still be able to enjoy financial and tax benefits , having access to the “ flat tax regime ” that provides for the payment of an annual flat tax of 100,000 euro notwithstanding the amount of revenues generated in Italy and anywhere else in the world .
INVESTMENT CATEGORIES AND NEW AMOUNTS FOR ITALY ’ S PROGRAM
The types of investment needed to apply for the visa are still the four originally provided for when the program was launched , but the amount of the minimum investment has been cut in half for the most important categories of investments : the minimum investment in equity instruments of Italian companies or corporations is now 500,000 euros and the one in innovative start-up companies already incorporated and operating in Italy is 250,000 euros , while for investments in Italian government bonds and in philanthropic projects the original amounts still apply ( respectively 2 million and 1 million euros each ).
OTHER CHANGES RECENTLY INTRODUCED IN ITALY
Due to a restrictive interpretation of the law that introduced the Investor visa and resident permit category by the Ministry of Economic Development – which is the main authority involved in the process for the issuance of the visa - until September 2020 the only applicants allowed to apply for the visa and consequently the resident permit were individuals making an investment on a personal basis . opportunities , as well as the visa and residence program itself . These circumstances led the Italian government to introduce changes to the program in 2020 . The changes and innovations to the program aimed at reinforcing it and making it even more appealing to foreign investors in the hope to help the Italian economy , which was suffering from the consequences of Covid-19 and the restrictive measures that the Italian government had to apply to defeat the virus .
The main features of the program are the same as well as the available investment types which are still connected to Italian companies , innovative start-up companies , research / education and philanthropic activities and government bonds . Non-EU foreigners moving their fiscal residency
“ Non-EU foreigners moving their fiscal residency to Italy will still be able to enjoy financial and tax benefits , having access to the “ flat tax regime ”.
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With the new Law No . 120 / 2020 , this limitation has been removed and it is now possible for the legal representative of a foreign company to obtain the visa through an investment performed by such company .
If the foreigner applies as a legal representative of a foreign company , the Investor Visa for Italy Committee , the organization in charge of the evaluation of visa applications , will request to the Ministry of Foreign Affairs and International Cooperation a preliminary review of the application to check the satisfaction of the reciprocity condition provided for by Article 16 of the Italian laws (“ preleggi ”). According to this law , a foreigner is allowed to enjoy the rights and freedoms granted to Italian citizens if the same rights and freedoms are granted to Italian citizens in the foreign country where the non-EU national comes from .
Another important change that has been introduced is the fact that the holder of the Investor Visa is no more required to spend a minimum amount of time in the Italian territory to be able to keep the visa and renew the resident permit .
If the other requirements for the renewal of the resident permit are matched - specifically the fact that the original investment made to obtain the visa and resident permit is kept and not dismissed in whole or in part - the holder of the Investor visa and resident permit will be able to apply for the renewal no matter the number of days actually spent in Italy during the validity of the visa and resident permit . This , above all , is a huge and substantial change , also taking in