The French tax administration has released a list of transactions considered to be abusive tax avoidance schemes, including some intergroup arrangements, writes KPMG in an April 6 tax alert. Included on the list are some instances where profits are relocated to a low tax jurisdiction after restructuring, unjustified payments of commissions or royalties, and abuse of tax treaties by inserting a structure to disguise the true beneficiary of a royalty, the firm writes.
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