OrbitaxOrbitax

France Issues Ruling on Deductibility of Interest Paid to a Related Company Benefiting from the Notional Interest Regime

|Approved Changes|France
France

The French tax authority has issued a ruling on the deductibility of interest paid to a related Belgian company benefiting from the notional interest regime. Under French interest deduction rules, the deduction of interest payments to a related company may be restricted if the interest income is not taxed to the recipient at a minimum level corresponding to at least one-fourth (25%) of the Fre…

Continue Reading