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Leaders League ranking 2024
Leaders League 2024 Michelangelo is listed for the third year running in the following categories: Litigation – « Recommended ». » – Law firm France 2024
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Corporate Taxation
Navigating audits, cross-border deals and wealth planning after the latest finance bill
The recent Loi de Finances 2026 and parallel international tax developments have materially changed the compliance, deal‑structuring and wealth‑planning landscape for corporate groups, executives and high‑net‑worth non‑resident individuals. This article […]
Protecting cross-border investments and executive wealth amid France’s tax reforms
France’s tax landscape has entered a period of material change with measures enacted in 2024,2026 that directly affect cross-border investments and the wealth of executives and non-resident investors. Key developments […]
Practical steps to protect international assets and residency amid recent fiscal reforms
Recent fiscal reforms have materially increased transparency and reporting obligations for cross‑border holdings, crypto assets, trusts and corporate structures. Multilateral initiatives and regional directives enacted in 2025,2026 have changed the […]
Balancing mobility and asset privacy under global tax and reporting reforms
Cross-border mobility has become a defining feature of modern wealth and business planning. Corporate groups, senior executives, entrepreneurs, and internationally mobile families increasingly assess residence, succession, governance, and investment structures […]
How recent budget measures are prompting multinationals to rethink legal and financial footprints
Recent budget measures and tax-policy announcements are reshaping how multinational groups assess their legal and financial footprints. What was once treated as a relatively stable exercise in tax efficiency, entity […]
How France’s finance bill reshapes luxury property vehicles
France’s 2026 finance bill introduces line measures that directly reshape the way high‑value residential and ‘luxury’ assets are held and taxed through corporate vehicles. For advisers to non‑resident owners, family […]
What recent finance reforms mean for overseas owners of property in Paris
Over the last 18 months French fiscal policy has produced a series of measures and high‑profile proposals that materially affect non‑resident and overseas owners of real estate in Paris. Some […]
How new transparency rules reshape cross-border family office and relocation planning
Cross-border family office and relocation planning has entered a new phase. What was once primarily a question of tax residence, holding structures, trust design, and succession objectives is now inseparable […]
Adapting group structures to new domestic and EU minimum-tax rules
The new domestic and EU minimum-tax rules are no longer a technical issue reserved for large tax departments. For many groups, they now directly influence how shareholding chains are organised, […]
Pillar Two pitfalls: practical steps for international deal teams
International deal teams can no longer treat Pillar Two as a specialist tax issue to be addressed late in the process. The regime now operates within a 147-jurisdiction Inclusive Framework, […]
Conventions
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Analysis
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