Article D214-80-2
I. - The subscription form drawn up with a view to marketing units in the funds mentioned in 1 of VI, VI bis and VI ter of article 199 terdecies-0 A of the General Tax Code and in 1 of III of article…
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Showing 11–20 of 60162 articles for “Art. 199 terdecies-0 A”
I. - The subscription form drawn up with a view to marketing units in the funds mentioned in 1 of VI, VI bis and VI ter of article 199 terdecies-0 A of the General Tax Code and in 1 of III of article…
I. 1. The taxation of capital gains derived from the disposal of securities mentioned in I of article 150-0 A may, if the proceeds of the disposal are invested, before 31 December of the year followin…
I. - The holder of an SME innovation account defined in article L. 221-32-4 may deposit in this account units or shares in a company subject to corporation tax that it has acquired or subscribed to ou…
Unitholders in a real estate investment trust mentioned in Article 239 nonies may offset all or part of the tax credits attached to the income and profits mentioned in article L. 214-81 of the Monetar…
Formalities carried out in relation to judicial sureties give rise to the collection of the following fees: NUMBER OF THE SERVICE (Table 6 of Article Appendix 4-7) NAME OF THE BENEFIT EMOLUMENT 43 Equ…
I. - Taxpayers domiciled in France within the meaning of Article 4 B may benefit from an income tax reduction for new productive investments they make in the overseas departments, Saint-Pierre-et-Miqu…
GENERAL PROVISIONS APPLICABLE TO ALL APPLICATIONS 1. Where the declarant is unable to produce one or more of the supporting documents provided for in the following annexes, he may apply to the judge r…
1. Taxpayers domiciled in France for tax purposes within the meaning of Article 4 B benefit from a reduction in income tax on the interest received in respect of the deferred payment they grant to far…
The content of the impact statement referred to in articles R. 142-8 to R. 142-10 is set out in Appendix I-1.
1. An income tax reduction is introduced for taxpayers domiciled in France within the meaning of Article 4 B who invest in Guadeloupe, Guyana, Martinique, Mayotte, La Réunion, Saint-Pierre-et-Miquelon…
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