The firm advises a wide range of players in real estate and hospitality, on transactions of varying nature and scale. That experience gives us a precise grasp of the economic drivers and market practice that shape these sectors.

Associations, foundations and non-profit organisations: taxation of their assets and real estate transactions.

Management companies and asset managers: structuring and tax monitoring of investment vehicles (OPCI, SCPI, SLP, FPCI) and their transactions.

Social housing bodies: dedicated tax regime, reduced-rate VAT, exemptions and disposal transactions.

Companies that own their operating real estate: acquisition, finance lease, disposal and local taxation.

Family groups and private property companies: transfer, dismemberment of ownership, Dutreil pacts and family holdings.

Listed and unlisted property companies: SIIC regime, ownership structuring and asset arbitrage.

Hotel operators: para-hotel qualification, VAT, operating taxation and property/operating structures.

Individuals and family offices: structuring of acquisitions, ownership, rental income and transfer.

Buy-renovate-resell cycles: VAT on margin, undertaking to resell, reduced duties and reclassifications.

Non-resident investors: acquisition and disposal, withholding taxes, the 3% tax, tax treaties.

Support at every stage of the development cycle: VAT, registration duties, planning and construction taxes.

Tourist, student and senior residences: para-hotel regime, VAT and operating taxation.
The firm advises clients established in 0 countries on their real estate investments in France. Well versed in international matters, the firm factors the tax implications of cross-border transactions into its analysis and works, where necessary, alongside local counsel.
A selection of recent transactions on which the firm has advised.
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