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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If, after analysis by a French tax lawyer, it appears that the tax reminders and/or penalties levied may be contested, the taxpayer has a right of appeal.Litigation in tax matters may consist of providing supporting documents or explanations that were not provided to the tax authorities during...
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The French tax authorities have clarified that the exemption from social contributions known as CSG (9.2%) and CRDS (0.5%) on income from property received from 1 January 2021 can also apply to UK residents.People, whether or not they are resident in France for tax purposes, who are covered by a...
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There are many cases of inheritance tax litigation. These may include a questioning of the declared value of a property or of the benefit of tax advantages which the taxpayer has implemented (such as the Dutreil Agreement), as well as the application of territorial rules depending on the country...
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The new tax treaty concluded on May 11, 2022, between France and Greece was published by a decree on January 9, 2024; it entered into force on December 30, 2023.It replaces the tax treaty of August 21, 1963.This new tax treaty largely incorporates the provisions of the OECD model convention.A few...
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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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