We use cookies to provide you with the best possible experience. By using Orbitax's services, you agree that we may store cookies on your device. Cookie Policy.
The AI assistant for tax questions
Track worldwide tax law changes daily
Cross-border tax analysis and data
Unify and empower your entity management
Provides compliance steps, forms & rates
Visualize and manage your entity data
Comprehensive compliance management
Audit and global tax controversy tracking
Manage reportable cross-border arrangements
Country-by-country reporting & compliance
Pillar 2 planning, reporting and compliance
Calculate US tax impact of foreign operations
Automated workflows for recurring tax tasks
Secure API connections to 3rd-party systems
Secure storage for your tax documentation
The AI assistant for tax questions
Collaborate securely on your tax data
Share This Article
|
|
The 2014 protocol to the 1958 income and capital tax treaty between France and Luxembourg will enter into force on 1 February 2016. The protocol, signed 5 September 2014, is the fourth to amend the treaty. The protocol adds a fourth paragraph to Article 3 of the treaty that includes the provision that gains from the alienation of shares or other rights in a company, trust or any other institution or entity will be taxable in a Contracting State if: 50% or more the entity's asset or property value consists of immovable property situated in that State; or The entity...