The specialties of the international tax lawyer

An expertise dedicated to operations with an international dimension

International taxation mobilises rules whose application exceeds the French tax law alone. Mobility of persons, cross-border investment, structuring of international groups, holding of foreign companies, international assets or tax controls involving several jurisdictions require the articulation of national legislation with international tax treaties, EU law and OECD standards.

In this environment, the intervention of the tax lawyer is not merely to answer a technical question or to resolve a dispute with the tax administration. It is part of a broader reflection aimed at securing transactions, anticipating the risks of double taxation, organizing international investments and defending the interests of the taxpayer in situations with an extraneous element.

The firm carries out an activity exclusively devoted to tax law, with special expertise in international taxation. Its intervention covers both strategic advice and the structuring of operations, international reporting obligations, cross-border tax controls and litigation involving several tax administrations.

The expertise presented below illustrates the firm's main areas of intervention with individuals, leaders, international groups, investors and families with interests in France and abroad.

 

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