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Hong Kong Holding Company for French founders
Setting up a holding company in Hong Kong as a French founder is a three-variable problem: the Hong Kong entity, the holding company regulatory profile, and the home-country exposure of the UBO.
Hong Kong entity
Offshore claim requires substance and operational evidence
Holding Company considerations
Pure equity holding vehicle for groups and investments.
French UBO exposure
Article 209B CFC, 3% tax on French real estate via offshore, exit tax.
Talk to a partner before you incorporate.
Wrong jurisdiction, wrong substance, or wrong bank shortlist is a 12-month problem. A 30-minute briefing fixes 80% of it.
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