The French Administrative Court of Appeal of Paris May 29 issued Decision No. 25PA01836, clarifying the capital gains taxation on real estate for nonresident companies. The taxpayer, a Danish company, sought relief from additional corporate tax and penalties in relation to the sale of French real estate, arguing that the capital gain should be computed using a 2008 revalued property value rather than the original acquisition cost. On appeal, the Administrative Court of Appeal of Paris found that: 1) the taxpayer could rely on the revalued value to compute the capital gain, even if the revaluation wasn’t previously taxed; 2) ...
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