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DOUBLE TAX RELIEF


David Blumenthal, Partner, Dewey Ballantine, reports on Tolley's Tax Planning for Company Reorganisations conference, held in November 2004

Graham Airs, Slaughter and May, writes on the corporation tax changes proposed to accommodate the European Company in the United Kingdom

Philippe Tournès and Anne Grousset, Partners, VAT Department, CMS Bureau Francis Lefebvre, discuss the VAT restrictions concerning the right to input tax deduction for branches in France

Stéphanie Monnais-Michel, lawyer in the law firm Magellan (Mazars), takes us through the tax issues of buying property in France

Peter Mason, VAT Consultant at the London law firm of CMS Cameron McKenna, introduces this special entente cordiale issue of The Tax Journal

Laurence Delorme,1 Transfer Pricing Partner with Landwell & Associés and Stephane Delliot, Head of Tax at Shell France, offer some insight into French APAs

Once a tax haven for interest expenses, France has recently experienced a significant tax audit activity in this area. Frédéric Laureau, Partner at EY Law in Paris, outlines what could become the new legislation

Annabelle Bailleul and Philippe Juilhard of CMS Bureau Francis Lefebvre discuss the changes introduced by the New UK/France Tax Treaty

Fabrice Rué and Gregory Tulquois of Cariddi Mee Rué, correspondents at the French Bar with DLA Piper Rudnick Gray Cary US LLP, explain the impact of the new tax treaty on the relocation of executives to France

Melchior Wathelet, Consultant to the CMS legal group, Professor at the University of Louvain-La-Neuve and former judge at the European Court of Justice in Luxembourg, compares the CFC rules in UK and French law

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