Tax lawyers

Since its creation, our firm has evolved around several axes, including tax law. We assist and, when applicable, represent companies as well as individuals within the context of exchanges with the authorities and/or before the courts, and always in close collaboration with specialized tax lawyers.


We directly or indirectly intervene in matters of :

  • Taxation of individuals and companies, on both the national and international level ;
  • Assistance with and advice on taxation matters relating to the taxation of corporate executives (sale, transfer, remuneration, international mobility) ;
  • Tax structuring of estates ;
  • Taxation of legal persons (corporate income tax [IS], VAT, etc.) on the national or international level ;
  • International development (managing transfer prices, developing internal rate manuals) ;
  • Real estate taxation ;
  • Tax audits (taxation reviews of acquisitions, during restructuring or equity investments), recommendations, and control audits ;
  • Tax optimization of revenue streams and funding, and of the tax burden of companies, evaluation of tax risks ;
  • Evaluation of the tax consequences of restructurings, acquisitions, or sales, tax structuring of investments or divestments ;
  • Tax optimization of sales of securities or assets ;
  • Tax assistance within the context of mergers and acquisitions, LBOs, restructurings ;
  • Implementation of financial incentive tools for executives and managers, including stock options ;
  • Group taxation: corporate restructurings, fiscal integration, tax optimization of the group in an international context ;
  • VAT and indirect taxes ;
  • Registration rights and Solidarity Tax on Wealth (ISF) ;
  • International and Community taxation ;
  • Assistance during tax audits of individuals and companies, both in pre-litigation and litigation phases ;
  • Disputing the adjustments of natural and legal persons ;
  • Assistance before the administrative commissions.

Thanks to our experience in tax litigation, we can accompany our clients right from the start of the accounting audit in order to ensure compliance with the oral debate and to verify strict monitoring of the rules of procedure. We write down observations on the audit proposal and formulate, when appropriate, a referral to the conciliation or direct tax commission. Once the audit for the tax authorities ends and the other recourses have been exhausted, we can introduce litigation or have it introduced by our specialized tax correspondents.

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