Making informed decisions and ensure the relevance of the analyses produced
We leverage our expertise to provide you with a second opinion, particularly when evaluating significant tax risks arising from intragroup financing, defining a defense strategy, or assessing the validity of certain positions taken by the French tax authorities.
Our practical experience and knowledge of the French tax authorities' requirements also enable us to conduct detailed reviews of transfer pricing analyses and documentation, as well as the justification for the interest rate applied between related parties.
Given the high standards set by the French tax authorities and courts, these reviews help you identify potential weaknesses and anticipate possible challenges, significantly reducing the risk of tax reassessment.
Contact
Théophile Trancart