Tax attractiveness is a key factor in Brexit relocation. | France, Germany and Luxembourg are often considered as potential post-Brexit locations, and each country has taken steps to appeal to UK companies in the banking, financial and insurance sectors. In France, President Macron’s government is committed to positioning Paris and the wider French financial market as Europe’s key post-Brexit financial centre. Tax measures have been introduced to appeal to individuals and companies. |
Individuals |
The 2019 Finance Bill has introduced another incentive for inpatriates, making them eligible to benefit from the 30% flat-rate tax on carried interest, if certain conditions are met. |
Companies | For companies, the key Brexit relocation measure is a progressive reduction of corporate income tax rates. For example, the current rate of 33.3% is reduced to 31% for qualifying companies in 2019, reducing further to 28% in 2020, and finally to 25% from 2022. While France has made commendable efforts to improve its tax competitiveness, there is still work to be done. On company taxation, for example, the next step forward would be to authorise the amortisation of goodwill – France is one of the last countries in the EU where it is still not allowed. |