FLD deals since 1980 with Swiss- Italian cross border succession, analyzing the applicable law to the succession. As a general rule, the law applicable to the succession is the law of the country in which the deceased was resident at the time of death, but it is possible to decide that the applicable law is that of the deceased’s country of origin.
We assist our clients in declaring the succession, updating the land and urban register in case of property bequests, tax advice, dissolution of the community of inheritance, disputes between the heirs and any other matter related to succession mortis causa.