Description |
Any company or an individual that invests in or sets up
operations in a foreign country will have to deal with the
possibility of double taxation on their revenue or assets,
more often than not juridical (as decided by this tax payer)
and sometimes economic (as decided by this tax payer and
another tax payer).
It is important to be able to take advantage of the combination
of the tax provisions applicable in the other State and those of
French domestic law, but above all it is important to understand
how to make best use of European law and the large number
of tax conventions concluded by France.
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