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Xavier Daluzeau

Partner

Contact
CMS Francis Lefebvre Avocats
2 rue Ancelle
92522 Neuilly-sur-Seine
Cedex
France
Languages French, English, German

Xavier Daluzeau joined CMS Francis Lefebvre in 1999 and became partner in 2012. Xavier is specialised in international taxation. His main practice areas are transfer pricing, reorganisations and acquisitions: international and supply chain restructuring, transfer pricing planning and documentation, tax audit and litigation, procedures leading to the elimination of double taxation and advance pricing agreements.

For fifteen years or so, Xavier has been advising French and foreign groups operating in various industries (in particular, consumer products, energy, pharmaceuticals, banking and finance and information technology).

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Best Lawyer, Tax Law

Best Lawyers 2024

Relevant experience

  • Two-Year secondment at the Berlin office
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Memberships & Roles

  • Member of IFA (International Fiscal Association)
  • Member of ACE (French Association of Corporate Legal Advisors)
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Education

  • HEC Business School (1997)
  • Post-graduate degree (DESS) in Business Law, University of Paris XI - Paris-Sud (1997)
  • CAPA (post-graduate legal qualification required to practise as a solicitor or barrister in France) (1999)
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Feed

27/03/2024
CMS Francis Lefebvre and Taylor Wessing advise McWin and Subway® respectively
CMS Francis Lefebvre and Taylor Wessing advise McWin and Subway® respectively on partnership to expand Subway® franchise network in France, Belgium, Luxembourg and the Czech RepublicSubway® has almost...
28/07/2020
Transfer pricing and the Covid-19 economic downturn
This Transfer Pricing thought leadership aims to assist companies in proactively approaching these issues and ultimately making appropriate decisions to secure their transfer pricing policies in these...
04/06/2020
Tax Challenges in a Changing World
The ongoing global COVID-19 pandemic is a historic human crisis of immense complexity on a global scale. It is also resulting in an accelerated economic downturn which has caused governments to react...
13/01/2017
Business Implications of BEPS
Three years ago, following the 2013 Saint-Petersburg summit, the G20 leaders made the following statement: “In a context of severe fiscal consolidation and social hardship, in many countries ensuring...
06/12/2016
Business Implications of BEPS
Three years ago, following the 2013 Saint-Petersburg summit, the G20 leaders made the fol­low­ing state­ment: “In a context of severe fiscal consolidation and social hardship, in many countries en­sur­ing that...
12/05/2016
CMS Guide - Transfer pricing: procedures for the elimination of double...
The CMS Tax Group is delighted to provide you with a CMS Guide on “ Transfer pricing: procedures for the elimination of double taxation in 25 countries“. The reassessment of the transfer pricing policy...
07/04/2016
CMS Guide - Transfer pricing: procedures for the elimination of double...
The CMS Tax Group is delighted to provide you with a CMS Guide on “ Transfer pricing: procedures for the elimination of double taxation in 25 countries“. The reassessment of the transfer pricing policy...
10/02/2016
CMS Guide - Transfer pricing: procedures for the elimination of double...
The CMS Tax Group is delighted to provide you with a CMS Guide on “ Transfer pricing: procedures for the elimination of double taxation in 24 countries“. The reassessment of the transfer pricing policy...
06/05/2015
Transfer pricing newsletter - May 2015
Practical consequences of not having a transfer pricing documentation While transfer pricing documentation requirement is not a new issue, it remains more than ever topical. Over the last years, many...
05/05/2015
Transfer pricing newsletter - April 2015
While transfer pricing documentation requirement is not a new issue, it remains more than ever topical. Over the last years, many countries introduced more stringent regulations in that framework. Furthermore...
18/03/2015
BEPS – First steps in the implementation of the Coun­try-by-Coun­try reporting...
In the framework of BEPS Action 13, the OECD delivered guidance on transfer pricing documentation and coun­try-by-coun­try (“CbC” hereafter) reporting in September 2014. For the records, CbC reporting...
10/07/2014
Transfer pricing newsletter - July 2014
What measures have been taken by the different countries following OECD’s Action plan to fight against Base Erosion and Profit Shifting? In July 2013, the finance ministers of the G20 countries met...