Description |
The directors of SMEs, for whom the advantages offered by
holding companies needs no further proof, are increasingly
examining the possibility and/or interest of combining their
investments (or the securities in a single operating company)
with the assets of a foreign holding company. Their questions
concern in particular holding companies established in
countries neighbouring on the North-East region (Belgium,
Luxembourg and the Netherlands).
The aim is to examine not only if such a strategy of setting
up operations is really appropriate, and offers genuine
"advantages" compared with a French holding company, but
also what the procedures for its implementation may be whilst
at the same time assessing the tax risks incurred.
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