Our partner, Michaël Khayat is taking part in the STEP Los Angeles International Tax & Estate Planning Annual Forum being held on June 13 and 14, 2024 in California. This 16th edition brings together national and international experts to discuss the latest issues in international planning for private clients. As part of this event, Michaël […]
Read moreOur partner Michaël Khayat shared his expertise at the IBA 29th Annual Private Client Tax Conference held in London from 3 to 5 March, which was organised by the IBA Private Client Tax Committee and supported by the IBA Family Law Committee. The theme of the 29th edition was “Navigating the world of private clients […]
Read moreThe French blacklist was updated by decree, published in the French Republic’s Official Diary of February 17, 2024. BVIs are out of the French blacklist; Panama is no longer concerned by the French 75% punitive capital gain tax. The updated French blacklist contains 16 States and Territories, which can be classified in 2 sub-groups:
Read moreOur Partner, Michaël Khayat will attend the 15th Annual STEP International Tax & Estate Planning Forum 2023 which will take place on May 4 and 5 in Los Angeles. During this event, Michaël Khayat will be speaking alongside other experts in four panels: – Will My Estate Plan Travel Abroad? – International Individual Expatriation Tax […]
Read moreIN SUMMARY By a decree dated February 3, 2023 amending the decree of February 12, 2010 taken in application of the second paragraph of the 1 of the article 238-0 A of the general tax code, the French blacklist of uncooperative States and Territories (ETNC), in tax matters, has been updated and published in the […]
Read moreFLASH ACTUALITE – NOVEMBRE 2022 APPLICATION OF THE FRENCH-ISRAELI DOUBLE TAX TREATY TO NEW ISRAELI RESIDENTS BENEFITING FROM THE ALYAH EXEMPTION REGIME ! SUMMARY A recent decision of the Court of Appeal specified that taxpayers newly settled in Israel and benefiting from the favourable regime of the Alyah exemption can enjoy the Franco-Israeli tax treaty. FACTS Two […]
Read moreThe French tax authorities recently updated its official guidelines. On top of the comments required by the Ordonnance n° 2020-115 dated 12 February 2020, the French tax authorities lighten the trustee’s reporting obligations by re-establishing tolerances for financial assets. 1/ When the trust has no connection with France but the holding of French financial investments: […]
Read moreNew Update of the French Blacklist: Bahamas and Oman are out with immediate effect
Read moreRetroactive social security contributions for 2017 – New ruling on constitutionality with the French Supreme administrative Court Arkwood is pleased to announce the filing of a new ruling on constitutionality with the French Supreme administrative Court related to the retroactive social security contributions for 2017.
Read moreNew reform impacting the French reporting obligations of trustees
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