Legal dictionary · Commercial, Corporate & Company Law

Share / Stock — in Spanish and Italian.

Spanish: Acción / Cuota · Italian: Azione / Quota — Commercial, Corporate & Company Law, trilingual legal dictionary.

Share / Stock

ENShare / Stock — A unit of ownership in a company.
ESAcción / Cuota
ITAzione / Quota

Definition

A unit of ownership in a company.

Spanish and Italian equivalents

In Spanish, Share / Stock is rendered as Acción / Cuota; in Italian, as Azione / Quota. The English entry lists two forms — Share and Stock — which practice treats as interchangeable or closely related. Spanish usage admits more than one form (Acción / Cuota); the choice depends on the country and on the type of document. Italian likewise admits more than one form (Azione / Quota), with the choice driven by the document type and context. Spanish equivalents follow Argentine (Rioplatense) usage where it differs from European Spanish. In a certified translation the equivalent is chosen for the target jurisdiction; where the concept has no exact counterpart, the source term is kept alongside a functional explanation.

Translating Commercial, Corporate & Company Law terminology

Company types do not translate one-to-one. A Spanish S.L., a Mexican S. de R.L. de C.V. and an Italian S.r.l. resemble a U.S. LLC in some respects and a corporation in others; S.A. and S.p.A. are closer to a corporation but governed by different rules on capital, directors and shareholder meetings. Certified translations of articles, bylaws, registry certificates and board minutes keep the original entity designation and organ names (consejo de administración, consiglio di amministrazione, junta general, assemblea) with an explanatory English equivalent.

Related terms in Commercial, Corporate & Company Law

Browse the full Commercial, Corporate & Company Law area, return to the dictionary index, or search all 712 terms in the interactive dictionary (also available as a PDF).


This page is for general orientation only. It is not legal advice and does not substitute for advice from licensed counsel in the relevant jurisdiction. Terminology varies between countries and between civil-law and common-law systems; the equivalents shown here are the most common in cross-border practice.

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