I. – Transactions subject to capital duty or land registration tax and concerning capital companies are taxable in France when the effective place of management or the registered office is located there, provided that, in the latter case, the effective place of management is located outside the States of the European Community.
II. – The following are subject to capital duty or land registration tax on the value of the company’s net assets the transfer to France:
1° From a State not belonging to the European Community, of the effective management seat of a capital company or of its registered office, provided that, in the first case, its registered office or, in the second case, its effective management seat is not in a Member State of the Community;
2° From another State of the European Community, either from a company’s effective place of management or from its registered office insofar as it was not considered as a capital company in that other State and provided that, in the second case, its effective place of management is not in a State of that Community.