France · Question · Question écrite
6847
Question 6847 — real estate wealth tax
Introduced
—
Last action
—
Status
posée
Sponsors
—
Subjects
Discovery layer
Source updated
—
Summary
Mr. Nicolas Démoulin draws the attention of the Minister of the Economy and Finance to the taxation of a taxpayer with a specific character. Considering that the taxpayer is a French tax resident, domiciled in France, salaried employee as a professional seafarer, not temporary, in international traffic for a company whose headquarters and effective management are in Germany and not in France, therefore in fact dependent only tax conventions and not the CGI. Clarification made that the taxpayer's taxes are paid directly at source in the country where the company is headquartered. For the calculation of income tax in France, the tax credit, a measure aimed at avoiding double taxation, does not apply, according to the tax convention. He questions the tax conditions applicable in this specific framework depending solely on the conventions tax and not the CGI.
Machine translation from French. The official text remains authoritative.
Timeline
No timeline events have been ingested for this record yet.
Votes
No vote records are attached yet.
Versions
No version snapshots stored. Document URLs remain at the source.
Documents
No documents linked.
Sponsors
No sponsors or actors listed by the source.
Related records
No cross-record relationships stored yet.
Sources
PoliticalRepo is an index and interpretation layer, not the authoritative legal source.
- Official source: https://www.assemblee-nationale.fr/dyn/15/questions/QANR5L15QE6847
- Open data entity: https://www.assemblee-nationale.fr/dyn/opendata/QANR5L15QE6847