Mayer Brown·TAX

French Merger Tax Regime's Anti-Abuse Rule for Non-EU M&A

An analysis of the French tax-advantaged merger regime considers the application of the general anti-abuse clause to transactions involving entities located in non-EU member states.

taxcorporate-mafranceeumergers-acquisitionsanti-abuse-rule
Read the original firm alert → Wednesday, September 2, 2026

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