Red card in case of dormant cash
The Paris Court of Appeal closes the door on eligibility for the ‘Dutreil’ scheme.
The Paris Court of Appeal closes the door on eligibility for the ‘Dutreil’ scheme.
Notre Étude y est reconnue pour sa forte notoriété en fiscalité du patrimoine ainsi qu’en assistance précontentieuse et contentieuse.
In a recent decision, the French tax judge has secured cross-border transfers by recognising the right to full refund of foreign tax.
Congratulations to our partners for their outstanding work in their respective practice areas!
The new Finance Act contains several measures affecting taxation of individuals.
Faced with the political risk of upsetting the working, middle and even wealthy classes, the priority now seems to be to tax «premium» taxpayers.
The dismemberment of real estate ownership remains a relevant and optimal way of transferring assets.
A precautionary measure to effectively reduce tax costs in a Franco-Swiss context.
The fact that a company or its shareholders are located outside France sometimes makes people forget that French tax law imposes duties on gratuitous transfers in many cases, even though the deceased (or donor) is domiciled abroad. The surprise will be bitter for the heirs of an unprepared succession.