France 3% Contribution on Distributed Profits Referred to Constitutional Court and CJEU
On 27 June 2016, issues regarding France's 3% income tax contribution on profits distributed by a resident company and the exemption for French tax-consolidated groups were referred to both the French Constitutional Court and the Court of Justice of the European Union (CJEU). The provisions for the 3% contribution are included under Article 235 ter ZCA of the General Tax Code.
The referral to …
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