Complete Expertise in
International Tax Law
International taxation requires the simultaneous mastery of French domestic tax law, bilateral tax treaties, and European Union law. The internationalization of activities and assets creates complex issues when a resident of one state conducts operations in another state — or when a non-resident operates in France.
The Firm of Me Jonathan Sémon is exclusively dedicated to these situations. Me Sémon advises both businesses facing international tax challenges and individuals whose tax situation extends beyond French borders.
1. International Businesses
Cross-border tax compliance. Coordination of reporting obligations and tax positions across multiple jurisdictions — analysis of applicable treaty provisions, identification of compliance requirements, and proactive management of declaration risks.
Bilateral tax treaties. Expert analysis of treaties concluded by France to understand their impact on operations: avoidance of double taxation, allocation of taxing rights between states, anti-abuse provisions.
International subsidiaries and holdings. Advice on creation and management of foreign subsidiaries and holding companies—analysis of tax treaty implications and optimization of cross-border ownership structures.
International real estate investments. Tax treatment of real estate investments in France and abroad—optimization strategies for each relevant jurisdiction and mitigation of withholding tax obligations.
Tax management for expatriates. Adapted planning solutions for internationally mobile employees—tax compliance, compensation optimization, dual residence.
2. Individuals
Tax residence. Tax residence is defined in article 4 B of the CGI. Its determination is the first issue to address when leaving or returning to France, or when living in multiple countries.
Expatriates and impatriates. Management of expatriation tax implications: double taxation, exit tax (art. 167 bis CGI), impatriate regime (art. 155 B CGI), residual reporting obligations in France.
Tax treaties. Thorough analysis of bilateral agreements applicable to your situation—their interpretation is often disputed and requires specific expertise.
International successions and gifts. Tax management of cross-border transmission in estates and gift planning—France has concluded only a limited number of succession treaties.
Foreign real estate investments. Advice on French and international markets, notably Dubai and the United Arab Emirates.
Applicable Legal References: