Sep 2014 - 

Tax - France / Luxembourg


France will now have the right to tax all capital gains deriving from the sale by a Luxembourg company of its interest in a company i.e. a French company, whose assets are directly or indirectly mainly composed of French real estate (i.e. more than 50% of the assets being French real estate). A withholding tax of 33% will apply to any gains realised on such disposal.

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