SCI: what tax advantages in 2026?
Transmission, joint management, IR or IS, donation of shares: what are the real tax advantages of an SCI in 2026?
82 articles in this category
Transmission, joint management, IR or IS, donation of shares: what are the real tax advantages of an SCI in 2026?
Complete guide for international investors considering French SME opportunities in 2026: IR-PME tax relief at 25%, PEA-PME, DCF valuation, due diligence steps and the accountant's rôle.
Long position, short position, short sale: a clear guide to understanding long & short logic without unnecessary jargon in 2026.
A structured review of your French real estate situation covers ownership structures, legal status of each property, income and charges, IFI wealth tax exposure and long-term objectives. A practical guide from a Paris accounting firm.
A regulated wealth adviser (CGP/CIF, ORIAS-registered) and a French chartered accountant play distinct but complementary roles. Understanding the boundary avoids costly blind spots in tax and investment planning.
Family holding company in 2026: Dutreil agreement (75% allowance), dismemberment of shares, multi-generational governance. Wealth framework and eligibility conditions.
The French donation au dernier vivant in 2026: how it works under Article 1094-1 of the Civil Code, which three options it opens for the surviving spouse (full usufruit, one quarter full ownership plus three quarters bare ownership, special available share), the applicable tax framework, and when to revisit it with a notary.
Our articles provide general guidance. A discovery meeting with Samuel HAYOT allows us to analyse your specific case.