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Article 163 bis G of the French General Tax Code

I.-The net gain realised on the sale of securities subscribed for in exercise of warrants allocated under the conditions defined in II to III is taxed under the conditions laid down in Article 150-0 A and in 1 or 2 of Article 200 A. By way of derogation from the provisions of the first paragraph, the aforementioned net gain is taxed under the conditions set out in article 150-0 A…

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Article 163 quinquies B of the French General Tax Code

I. Individuals who undertake to hold units in venture capital mutual funds or professional investment funds for at least five years from the date of their subscription are exempt from income tax on the sums or securities to which the units concerned entitle them. The provisions of the first paragraph do not apply to holders of units in venture capital mutual funds or specialised professional funds covered by Article L….

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Article 163 quinquies C of the French General Tax Code

I. (Not applicable) II. – 1) Distributions by venture capital companies that meet the conditions set forth in Article 1-1 of Act no. 85-695 of 11 July 1985 on various economic and financial provisions, deducted from net capital gains on disposals of securities made by the company during financial years ending on or after 31 December 2001 are taxed under the conditions set out in 1 or 2 of Article…

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Article 163 quinquies C bis of the French General Tax Code

Distributions made by the sociétés unipersonnelles d’investissement à risque mentioned in Article 208 D are exempt from income tax and, unless they are paid in an uncooperative State or territory within the meaning of article 238-0 A other than those mentioned in 2° of 2 bis of the same article 238-0 A, from the withholding tax mentioned in 2 of article 119 bis when the following conditions are met: 1°…

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Article 163 quinquies D of the French General Tax Code

I. – The share savings plan is open and operates in accordance with articles L. 221-30, L. 221-31 and L. 221-32 of the Monetary and Financial Code and the share savings plan intended for the financing of small and medium-sized enterprises and intermediate-sized enterprises is opened and operates in accordance with articles L. 221-32-1, L. 221-32-2 and L. 221-32-3 of the same code. II. disjoint III. disjoint IV. repealed

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Article 163 duovicies of the French General Tax Code

The amount of sums actually paid for cash subscriptions to the capital of companies mentioned in article 238 bis HO made before 1 January 2009 is deductible from overall net income; this deduction may not exceed 25% of this income, up to an annual limit of €19,000 for single, widowed or divorced taxpayers and €38,000 for married taxpayers subject to joint taxation. In the event of the sale of all…

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Article 163 quatervicies of the French General Tax Code

I. – 1. – Contributions or premiums paid by each member of the tax household are deductible from overall net income, subject to the conditions and limits mentioned in 2: a) to the popular retirement savings plans provided for in article L. 144-2 of the Insurance Code; b) On an individual and optional basis to contracts taken out under supplementary pension schemes, to which membership is compulsory and set up…

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Article 163 quinvicies of the French General Tax Code

The provisions of the second paragraph of 2° of article 83, of a bis, a ter, b bis of 18° and 18° bis of article 81, of article 163 bis AA and du d du 1 du I de l’article 163 quatervicies do not apply to the portion corresponding to payments into a retirement savings plan mentioned in article L. 224-1 of the Monetary and Financial Code under the additional…

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Article 164 A of the French General Tax Code

The French source income of persons who do not have their tax domicile in France is determined according to the rules applicable to income of the same nature received by persons who have their tax domicile in France. However, none of the expenses deductible from overall income pursuant to the provisions of this code may be deducted.

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Article 164 B of the French General Tax Code

I. The following are considered as French source income: a. Income from real estate located in France or rights relating to such real estate; b. Income from French transferable securities and all other transferable capital invested in France; c. Income from businesses located in France; d. Income from professional activities, whether salaried or not, carried out in France or profit-making operations within the meaning of the article 92 and carried…

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