The tax landscape is complex and changing, marked by incessant changes: finance laws, of course, French and European case law (the latter regularly opposing the provisions of French texts and/or administrative doctrine), but also the impact of new European standards, as well as those to come into force (e. g. DAC 6, making the declaration of cross-border tax arrangements mandatory) or the work of the OECD (e. g. the BEPS project in line with the ATAD directives, multilateral instrument...)

AUPOIX advises individuals both personally and in their capacity as directors, managers and/or shareholders and assists them in all stages related to the creation, preservation and sale or transfer of professional and personal assets.

Tax optimization (& rescript requests)

Rationalisation of holding schemes through dedicated asset and property structuring in a French or international context...

Transfer of assets and liabilities

Tax planning: implementation of donation strategies and estate planning. Use of tools such as Dutreil pacts, dismemberment...

Management Packages / Tax optimization of managers' remuneration

Loyalty and performance compensation: BSPCE, AGA, BSA... (start-ups and SMEs more generally) - carried interest (investment funds)...

International mobility and expatriation

Impatriate preferential schemes for income tax and wealth tax. Strategies regarding impatriation and expatriation bonuses...

Preparation of RI and IFI declarations

Preparation of declarations, particularly in the presence of elements generating a certain complexity, for example capital gains following the sale of a company or capital gains carried forward, transfers of shares resulting from stock option plans, income from foreign sources, determination of property ratios for the IFI...

Control & Tax litigation

Assistance with requests for information, preparation of responses to proposals for rectification, intervention with the tax authorities, before the departmental commission, search for transactions and/or assistance before the administrative courts (TA, CAA...) and civil courts (TGI, Court of Appeal...), preparation of QPCs and appeals for excess of power...

Regularization of foreign assets

Despite the closure of the STDR at the end of 2017, taxpayers holding undeclared foreign accounts and assets can consider regularising them with the tax authorities...