What is a “procura speciale?”

How It Compares to U.S. “Power of Attorney”(POA) and Why It Matters

If you’re buying property, incorporating a company, or handling legal matters in Italy from abroad, chances are you’ll need a procura speciale—a legal tool often misunderstood by non-Italians. While it’s sometimes translated as a “special power of attorney,” the Italian version is much more formal and specific than what many Americans are used to.

Here’s what you need to know.


What Is a Procura Speciale?

procura speciale is a notarized legal document that grants someone the authority to act on your behalf for one specific legal act—such as signing a deed, forming a company, or accepting an inheritance. It’s task-specific, tightly worded, and expires when the task is completed.

It is typically required for:

  • Real estate transactions
  • Court appearances
  • Signing contracts before a notary
  • Submitting succession or tax documents

Unlike casual authorizations, a procura speciale is binding and must be drafted in formal legal Italian and signed before a notary public.


🔄 How It Differs from a 

Procura Generale

procura generale is like a general power of attorney: it allows the agent to act across a wide range of legal and financial matters on your behalf. It remains valid until revoked or expired and is used for broader, ongoing representation—such as managing assets or companies.

FeatureProcura SpecialeProcura Generale
ScopeSingle taskMultiple tasks
DurationAs stipulatedUsually ongoing
Requires NotaryYesYes
Use CaseReal estate, inheritanceBusiness, asset management, elderly affairs.

🇺🇸 How Italian Procure Differ from U.S. Powers of Attorney

While the concept is similar, there are key differences between Italian procure and U.S. POAs:

  1. Durability: In the U.S., POAs can be durable (remain valid after incapacity). In Italy, procure with few exceptions automatically expire if the principal becomes incapacitated.
  2. Medical Authority: U.S. POAs can include healthcare decisions. In Italy, medical authority is handled separately via advance directives (DAT).
  3. Formality: Italian procure are much more formal, notarized, and specific. A U.S.-style POA will not be accepted in Italy unless properly translated, notarized, and apostilled.
  4. Cross-border validity: A U.S. POA can only be used in Italy if it’s properly legalized (apostilled) and, in many cases, translated and reviewed by an Italian notary.

What About a Delega? 

delega is often confused with a procura, but it’s something entirely different.

  • delega is a simple authorization letter, typically used for minor tasks like picking up registered mail, submitting documents, or attending basic appointments.
  • It doesn’t require a notary and has no legal standing in notarial acts or court matters.
FeatureProcura SpecialeDelega
Legal StatusFormal legal actInformal authorization
Requires NotaryYesNo
Use CaseReal estate, legal mattersPost office, errands, delivering documents
ScopeLegally bindingAdministrative only

Bottom line: A delega is a note. A procura is a contract.


🧭 When Should You Use a Procura Speciale?

If you:

  • Can’t travel to Italy for a closing
  • Are incorporating a company remotely
  • Need someone to sign notarial documents or act in court
  • Are managing an inheritance or donation

…you’ll need a procura speciale. It allows a trusted person to act on your behalf in a legally valid way—just for that task, and nothing more.


🔐 Final Tips

  • Sign your procura before an Italian notary, or before a U.S. notary with apostille and certified Italian translation
  • Be specific—vague language may lead to rejection
  • Consult an Italian notary or lawyer to ensure it’s valid for the intended act
  • Contact us for a consultation about how to resolve your problems. We have a network of professionals to resolve every part of American life in Italy.

In Italy, legal precision matters. While a U.S. power of attorney might work for many things at home, it often won’t be accepted abroad unless adapted to the Italian system.


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