January 3, 2026
- Updated title to reference 2026 and reframed question format
- Added 2024–2026 visa options with specific income thresholds (elective €31,000; digital nomad €28,000)
- Included Investor Visa Program update (late 2024) with investment thresholds (€250,000 startups; €2M bonds)
- Added recent market data: foreigners >10% of residential purchases in 2025 and 25% rise in virtual tours after 2025
- Added a 2026 step-by-step buying timeline with estimated weeks and closing cost range (10–20%)
- Included specific 2026 mortgage, bank, and tax figures (mortgage LTV 50–60%, rates 3–4%, registration tax 9% on cadastral value)
(ITALY) US citizens can buy any home in Italy in 2026 without residency or a visa, thanks to long-running reciprocity rules. Buying a house does not change your immigration status, and you still follow Schengen’s 90 days in any 180-day period limit.

What ownership does — and does not — do for immigration
Owning real estate in Italy does not grant residency, a long-stay visa, or citizenship, even if you pay in full and keep the property for years. To live in Italy longer than the tourist window you must qualify for a separate national (Type D) visa through an Italian consulate.
The options most mentioned by Americans in 2026 include:
- The elective residency visa for people with passive income of €31,000+ per year.
- The digital nomad visa (introduced in 2024) for remote workers with €28,000+ income.
- Italy’s Investor Visa Program (updated late 2024, running through 2026), which starts at €250,000 in startups or €2 million in bonds and does not accept real estate as the qualifying investment.
Foreign buyers continue to influence the market: in 2025, foreign purchases made up over 10% of Italy’s residential transactions, with Americans among the most active groups.
Important: Property ownership and immigration status are separate matters. Buying a home will not extend your Schengen stay or confer residency rights.
The 2026 buying timeline — from first call to keys
Most purchases follow a formal, document-heavy, notary-led path — even when managed from the United States 🇺🇸. Total closing costs for non-residents often land at 10–20% of the purchase price.
Typical practical timeframe:
1. Week 1–2: Get your Codice Fiscale, set up bank options, and line up a bilingual agent and surveyor.
2. Week 3–8: View properties, make an offer, and sign the preliminary contract once checks commence.
3. Week 9–16: Complete due diligence, arrange funds or a mortgage, and schedule the final deed with the notary.
Remote closings are possible using a power of attorney, but most lawyers still urge an in-person visit before the binding contract. Virtual tours rose 25% after 2025, yet they don’t replace checking boundaries, access roads, and building condition.
Timeline table
| Stage | Typical weeks | Key actions |
|---|---|---|
| Initial setup | 1–2 | Codice Fiscale, bank setup, agent/surveyor engagement |
| Search & offer | 3–8 | Property viewings, Proposta Irrevocabile d’Acquisto |
| Due diligence & closing | 9–16 | Checks, mortgage/funds, rogito with notary |
Step 1: Get the Codice Fiscale early
The Codice Fiscale is Italy’s tax ID and is required for the offer, contracts, utilities, and tax payments. If two people buy together, both need one. Agents often request it before drafting the first offer.
You can apply:
– Through an Italian consulate in the United States, or
– In Italy at the tax agency, the Agenzia delle Entrate.
See the Agenzia delle Entrate’s page on requesting a Codice Fiscale and the related instructions: https://www.agenziaentrate.gov.it/portale/web/guest/schede/istanze/richiesta-del-codice-fiscale-e-del-tesserino-sanitario/modello-e-istruzioni-codice-fiscale
Treat this as your first clock-starter. Deals often stall when a buyer tries to obtain the tax ID after an offer is accepted, because the offer still needs registration.
Step 2: Plan payments and banking like a compliance exercise
An Italian bank account is not strictly legally required, but it is practically essential — most sellers, notaries, and municipalities expect local transfers. Many Americans start with a digital bank (e.g., Wise or N26) for remote setup, then activate features after arrival.
Practical tips:
– Keep clean records of transfers, deposits, and closing statements for Italian and US reporting.
– If financing, expect Italian mortgages for Americans to commonly reach 50–60% loan-to-value.
– Banks often request proof of €8,263+ annual income, recent tax returns, and impose a debt-to-income cap around 30–35%.
– Fixed mortgage rates in early 2026 sat around 3–4%, as ECB conditions steadied.
Step 3: Make an offer, then commit at the preliminary contract
The offer is usually the Proposta Irrevocabile d’Acquisto, an irrevocable offer that locks you in for the stated period. Buyers often attach a €5,000–€10,000 deposit, typically held by the agency.
Next is the preliminary contract, the Compromesso, which is legally binding and sets:
– The closing date
– The price
– Conditions of sale
Financials and penalties:
– Deposit at Compromesso: typically 10–30% of purchase price. Walk away without valid contractual reason and you lose the deposit; if the seller backs out, the seller owes double.
– Agency commissions: commonly 2–4% plus 22% VAT, often paid or partly paid at this stage.
– Notary fees: typically €1,500–€5,000 plus VAT.
– Surveys: €1,000–€3,000, higher for older or rural homes.
Step 4: Due diligence — where foreign buyers win or lose
The notary (notaio) plays a central role: verifying the title chain, checking liens, and registering the deed. The notary reviews cadastral and land registry data, including the Visura Catastale, and confirms documents such as the energy certificate (APE).
Buyers should also hire an independent geometra to check:
– Boundaries
– Building permits
– Conformity to the cadastral records
Rural transactions are particularly risky: guidance material flagged a 20% error rate for mismatches in 2026.
This stage also sets your tax basis. Many purchase taxes are calculated on the cadastral value, which the government assigns and is often 30–50% below market.
Example:
– Market price: €100,000
– Cadastral value: €32,000
– Registration tax at 9% on cadastral value: €2,880
Step 5: Sign the rogito, pay taxes, and take ownership immediately
Closing is the final deed — the rogito — signed before the notary. You pay the balance, taxes, and fees; ownership transfers immediately once the deed is registered.
Headline taxes for non-residents buying from a private seller:
– Registration tax: 9% on cadastral value
– Fixed cadastral and mortgage taxes: €50 each
If VAT applies (commonly on new builds):
– The fixed cadastral and mortgage taxes become €200 each
– VAT is generally 10% for second homes or 22% for luxury properties
After closing, annual bills vary by municipality:
– IMU: 0.4–1.06% of cadastral value for non-primary homes
– TARI: waste collection, based on size and occupants
– TASI: local services, where applicable
Residency-related tax breaks and conditions
Buying as a non-resident can be the start of a move. New residents may qualify for:
– A €200,000 flat tax on foreign income for up to 15 years, with €25,000 more allowed per family member
– Or a 7% flat tax on foreign pensions in parts of southern Italy for 10 years
To access “primary residence” purchase benefits, buyers generally must:
– Establish residency and treat the property as their main home, which reduces purchase tax to 2%
– Move within the required timeframes (often 18 months) and properly follow through — failing to meet conditions can trigger penalties up to 30%
According to analysis by VisaVerge.com, the separation between property rights and immigration rights is the single point that most often surprises American buyers.
Key takeaway: Tax incentives tied to residency require real and documented changes in residence; ownership alone is not enough.
A real-world path: Sarah’s Umbria villa in 2026
Sarah, a US retiree, bought a €250,000 villa in Umbria in Q1 2026 as a non-resident. Her steps and costs included:
- Obtained Codice Fiscale via the Miami consulate.
- Opened a BNL account remotely.
- Paid 9% registration tax equal to €7,500 on an €83,000 cadastral value.
- Paid about €4,000 in fees (notary, surveys, commissions).
- Budgets about €1,200 yearly for IMU and TARI.
- Stays about 80 days annually to remain inside Schengen rules.
- Rents short-term while declaring income in both Italy and the US.
Sarah later reviewed investor visa routes for family planning, but did not use investment as a substitute for the standard visa process.
Other legal and estate considerations
Owners should plan for inheritance: Italy’s forced heirship rules can reserve shares for relatives. These rules may affect estate planning and require early legal advice to align wills, succession plans, and cross-border tax considerations.
Warning: Failing to meet residency-based conditions or not planning for Italian inheritance law can result in significant financial penalties or unexpected estate outcomes.
While US citizens enjoy unrestricted property rights in Italy, ownership is entirely decoupled from residency. Buyers must navigate a 16-week process involving tax IDs, local bank accounts, and mandatory notary oversight. With closing costs reaching 20% and complex inheritance laws, prospective owners must balance investment goals with strict Schengen stay limits and separate visa requirements for long-term living.
