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Ireland DAO for French founders

Setting up a dao in Ireland as a French founder is a three-variable problem: the Ireland entity, the dao regulatory profile, and the home-country exposure of the UBO.

Ireland entity

Substance critical (CFC, BEPS)

DAO considerations

Governance organisation needing legal wrapper for contracts and liability.

French UBO exposure

Article 209B CFC, 3% tax on French real estate via offshore, exit tax.

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