Italy: Moving towards the fourth industrial revolution

International Tax Review is part of Legal Benchmarking Limited, 1-2 Paris Garden, London, SE1 8ND

Copyright © Legal Benchmarking Limited and its affiliated companies 2026

Accessibility | Terms of Use | Privacy Policy | Modern Slavery Statement

Italy: Moving towards the fourth industrial revolution

intl-updates-small.jpg
scampuddu.jpg
nieddu.jpg

Barbara Scampuddu

Gian Luca Nieddu

The Italian government recently released its "Industria 4.0" plan which, by offering tax incentives to the industrial sector, aims to encourage competitiveness, attract foreign investors and foster expenditures in innovation.

Moreover, this national plan, which was first launched in February 2017, provides companies with a unique opportunity to join the so called "fourth industrial revolution", leveraging four strategic guidelines:

1) Innovative investments to encourage private investments related to Industria 4.0 "enabling technologies" (including advanced and automated manufacturing solutions, clouding, cyber security and others) and enhanced commitment towards research, development and innovation;

2) Enabling infrastructures to ensure adequate network infrastructure, data security and protection, cooperate in defining international interoperability standards;

3) Increase research and know-how through specific training paths; and

4) Awareness and governance to spread knowledge, potential and applications of Industria 4.0 technologies and ensure public-private governance to achieve the set goals.

Key Industria 4.0 tax incentives include the following:

  • Hyper and super-depreciation – this is available to companies investing in new assets, such as software and IT systems, for technological and digital transformation of production processes. Hyper-depreciation provides a 250% amortisation rate for investments in 4.0 technologies, while super-depreciation allows a 140% amortisation rate for new assets, either purchased or leased.

  • Credit to innovation ("New Sabatini Law") – addressed to micro, small and medium enterprises operating in Italy, regardless their field of activity, willing to take out bank financing to invest in new assets, including capital goods, machinery, equipment and digital technologies (hardware and software). Those companies may benefit from a dedicated contribution to cover interest payment related to loans ranging between €20,000 ($23,700) and €2 million.

  • R&D tax credit – aimed at stimulating private expenditure in R&D to innovate products and processes, it consists of a tax credit equal to 50% of R&D investments made between 2017 and 2020 not exceeding €20 million per year. In particular, this relief concerns expenditures related to basic research, industrial research and experimental development, including qualified personnel salary and other costs, amortisation of laboratory equipment, research agreements with universities and others.

  • Patent box – A 50% deduction of the net income deriving from intangible property use, such as patents, industrial designs, know-how, copyrighted software and registered trademarks, these latter with reference to applications filed in 2015 and 2016 only. Therefore, income from registered trademarks shall no longer be covered by this tax benefit from 2017 onwards, as provided by Article 56 of Law Decree No. 50/2017. Patent box, besides encouraging R&D investments, is also intended to increase the Italian market appeal for both long-term national and foreign investment. It also aims to draw intangible assets currently held abroad by Italian or foreign companies to Italy and prevent those already in Italy from being relocated abroad.

  • Tax deduction on investments in innovative start-ups – a 30% tax deduction on investments in venture capital is aimed at supporting innovative companies at all stages of their life cycle and promoting a new entrepreneurial culture dedicated to collaboration, innovation and internationalisation.

A relevant aspect concerning all the above mentioned tax incentives is that they can be benefited even all contemporaneously. Therefore, venture capitalists and start-up initiatives (especially those dedicated to innovative activities and operations to foster R&D developments) can take great advantage from an integrated exploitation of this set of rules.

Barbara Scampuddu (barbara.scampuddu@hager-partners.it) and Gian Luca Nieddu (gianluca.nieddu@hager-partners.it)

Hager&Partners

Tel: +39 02 7780711

Website: www.hager-partners.it

more across site & shared bottom lb ros

More from across our site

The APA resolution signals opportunities for multinationals and will pacify investor concerns, local experts told ITR
Businesses that adopt a proactive strategy and work closely with their advisers will be in the greatest position to transform HMRC’s relief scheme into real support for growth
The ATO and other authorities have been clamping down on companies that have failed to pay their tax
The flagship 2025 tax legislation has sprawling implications for multinationals, including changes to GILTI and foreign-derived intangible income. Barry Herzog of HSF Kramer assesses the impact
Hani Ashkar, after more than 12 years leading PwC in the region, is set to be replaced by Laura Hinton
With the three-year anniversary of the PwC tax scandal approaching, it’s time to take stock of how tax agent regulation looks today
Rolling out the global minimum tax has increased complexity, according to Baker McKenzie; in other news, Donald Trump has announced a 25% tariff on countries doing business with Iran
Among those joining EY is PwC’s former international tax and transfer pricing head
The UK firm made the appointments as it seeks to recruit 160 new partners over the next two years
The network’s tax service line grew more than those for audit and assurance, advisory and legal services over the same period
Gift this article