Lives in more than one country
International families meet the complications late: a Tuscan villa the New York will never named, a Roman account whose joint owner died abroad. We ask the hard questions upstream, with your home counsel in the loop.
لأسر تتوزع أصولها وورثتها ومنازلها بين الحدود. ننسِّق الجزء الإيطالي مع محاميك في بلدك الأصلي. ونتولى التكامل بأنفسنا.
احجز استشارة افتراضيةInternational families meet the complications late: a Tuscan villa the New York will never named, a Roman account whose joint owner died abroad. We ask the hard questions upstream, with your home counsel in the loop.
Regulation 650/2012 lets you elect your national law; without it, the law of habitual residence at death governs. We confirm which one truly applies and document the election.
The courts of habitual residence hold general jurisdiction over the whole estate, subject to carve-outs and prorogations. Choosing the forum can matter as much as choosing the law.
Many international clients hold one will per country. We make sure they do not revoke each other, do not clash on residual clauses, and stay mutually executable.
Italian inheritance tax on the Italian assets, foreign tax on the rest, treaty relief where it exists. We model the bills before any asset is restructured.
Discovery, joint analysis with your home counsel, structuring, then custody and a review every few years. Bring the assets, the family, and the existing wills.
احجز مكالمةL'Albero