Taxation of acquisitions in Paris 8

Secure

Secure

Refereeing

Refereeing

Optimize

Optimize

Managing tax issues right from the acquisition phase

Every company purchase or strategic investment project involves decisive tax trade-offs. Our role is to secure the legal framework while optimizing the short, medium and long-term tax effects.

Our services :

  • Analysis of project and target structure
  • Securities vs. assets arbitrage (risks, taxation, internal operations)
  • Negotiation of asset and liability guarantees (amount, duration, escrow, tolerances)
  • Structuring via French or foreign holding companies (Luxembourg, Emirates, Delaware, etc.).
  • Optimization of leverage (tax-deductible interest, dividends)
  • Application of tax regimes: parent-subsidiary, integration, professional capital gains
  • Price adjustment :
    earn-out clauses (part of the price is paid later if the target company achieves certain results after the transfer),
    closing accounts (the price is adjusted after the sale based on the company's actual financial situation at the transfer date),
    locked box (price fixed in advance on the basis of old accounts, with no adjustment after the sale unless there have been unjustified financial flows to the seller), depending on the financial stakes involved and the level of security sought in the transaction.
  • Anticipating exit taxation (resale, transfer, reorganization)
  • Coordination with accounting and financial experts.

Objective: a secure, aligned and sustainable framework

Our support transforms acquisition taxation into a strategic tool to help you achieve your business objectives.

Do you have an acquisition in mind? Let's discuss it confidentially.

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