First of all, it is possible to challenge a tax adjustment through by means of hierarchical appeals and by requesting, where possible and relevant, that the situation be examined by a committee. If the Administration's position is not satisfactory, CM-Tax law firm - which represents several...
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Our team offers you their in-depth knowlegde of the French corporate tax regime. We help you to develop your business in France and to keep up with the changing French and conventional tax law while focusing on your business. We are your "hands-on" tax partner in France with a full range of...
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The French tax specialist law firm CM-Tax and its team of English speaking French tax advisors, based in Lyon and Marseille but operating throughout France, advises and assists on all subjects relating to tax litigation in France:
claim following a proposal of adjustment or in order to obtain...
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Receiving income from abroad, whether resulting from a specific activity or from financial or property investments, as well as holding bank accounts abroad or other types of assets - such as foreign property - entails specific tax obligations in France, which, if ignored, may lead to significant...
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A Dutreil Agreement is a commitment to retain shares in companies based in France or in a foreign country, taken by several partners representing at least 34% of the share capital.
When the appropriate conditions and commitments are fulfilled, it makes it possible to benefit from very important ...
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At the end of the tax audit phase, after presenting its observations to the auditing department and, where applicable, exercising hierarchical appeals and examining the case by the relevant tax commission, the administration will decide whether to maintain all or part of the adjustments initially...
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