Nous avertissons les internautes de ne jamais donner suite à toute sollicitation faite sous le sceau de l’étude, notamment impliquant des prêts ou emprunts de somme d’argent qui constituent des escroqueries.

Cliquez-ici pour visualiser deux exemples de faux contrats de prêt qui comportent de nombreuses anomalies.

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This page is intended to keep our nonresident contacts informed of pertinent legislative developments or new legal precedents concerning international affairs which may impact their operations and require preemptive action.

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31 news

Denunciation by France of the tax conventions with Switzerland

Monday 05/01/2015
France has denounced tax conventions concluded with Switzerland regarding taxation of income, capital and inheritance. This measure will enter into force on December 31st, 2014. As a result, it is essential for cross-border workers, for Swiss residents who have economic interests in France and French residents having economic interests en Switzerland, to study the consequences of this status as soon ...
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Special declaration regarding trusts

Thursday 20/11/2014
Although French lax and tax law do not fully recognize the effects of trusts, trusts are liable to a specific tax or declarations since 2012.   The decree n° 2014-1372 of November 17th, 2014 , modifies the declaration in order to comply with the law of December 6th, 2013 ( read our previous article on the subject )....
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Codicil to the French-Luxemburgish tax treaty of 5th September 2014 : taxation in France of capital gains resulting from the transfer of shares in companies the assets of which are composed of a major

Thursday 20/11/2014
French and Luxemburgish authorities signed on 5th September of this year a fourth addendum to their common tax treaty of 1st April 1958, in order to avoid double non taxation in case of transfer of shares in companies which assets are mainly composed of real estate.   Another codicil signed on 24th November 2006 and entered into force on 1st January 2008 allowed France to tax income and ...
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Incoming French-Andorran tax treaty : new criterion of nationality in the french tax jurisdiction

Thursday 20/11/2014
French tax system, as most tax systems, currently ignores citizenship as a criterion to determine the tax jurisdiction of a State. Indeed, the most common criterion is tax residence, which definition varies from one country or tax convention to another.   As we announced earlier in an article dealing with the transfer of residence outside of France without risks, the importance of nationality ...
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Contracts drafted in French

Wednesday 22/10/2014
The Cour de cassation (French supreme court) recently reminded that French notaires have an obligation to inform the parties to a contract, the extent, the consequences and the risks of the contracts he drafts. In this case, the Cour de cassation sentenced a notaire who had not invited his non French-speaking client to require the assistance of an interpret during the signature of the contract ...
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Loans in a foreign currency

Thursday 26/06/2014
The French decree n°2014-544 (JORF n°0123 from May, 28th 2014) from May, 26th 2014 that will enter into force on October, 1st 2014 defines the conditions in which individuals could take out a loan in a foreign currency to one of the EU member States and repay it in Euros. The borrower would only be able to subscribe a loan if:     - He receives at least half of his annual ...
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