Article 1518 A ter
…nt decision taken under the conditions laid down in I of Article 1639 A bis, institute a 30% allowance applied to the rental value of premises used for residential purposes located in apartment blocks…
20+ full codes, 2,400+ articles translated and updated. Case law linked to every article. Read the actual text before you ask a lawyer about it — free, no login required.
20+
french codes
Fully translated
2,400+
articles in English
Updated regularly
480+
court rulings linked
Per article
Free
full access
No login required
Showing 1621–1630 of 11768 articles for “Art. CE 15-10-1982 n° 26585”
…nt decision taken under the conditions laid down in I of Article 1639 A bis, institute a 30% allowance applied to the rental value of premises used for residential purposes located in apartment blocks…
Open the article to read the full text in English.
The certificate of extension of the examination of an application for first issue of a residence permit provided for in Articles L. 421-22, L. 421-23, L. 421-26 to L. 421-29, L. 422-14, L. 423-1, L. 4…
…of 9 August 2017 L. 314-13 and L. 314-14 Order no. 2017-1433 of 4 October 2017 L. 314-15 with the exception of its second paragraph Order no. 2013-79 of 25 January 2013 L. 314-16Order no. 2017-1433 of…
…of 9 August 2017 L. 314-13 and L. 314-14 Order no. 2017-1433 of 4 October 2017 L. 314-15 with the exception of its second paragraph Order no. 2013-79 of 25 January 2013 L. 314-16Order no. 2017-1433 of…
If the taxpayer has a single residence in France, tax is assessed at the place of that residence. If the taxpayer has several residences in France, he is liable for tax at the place where he is deemed…
…r, shall be determined under the conditions set out in article 60, second paragraph, and in accordance with the provisions of articles 96 to 100a as well as Article 102 ter for the sole shareholder of…
Public or ministerial officers are obligatorily subject to the controlled declaration regime in respect of profits from their office or position. As regards profits or income from a related or ancilla…
…ded for in Chapter II of this Title; 2° Legal entities and joint ventures which have voluntarily placed themselves under the same tax regime by exercising the option provided for in 3 of article 206.…
1. The following are deemed to be distributed income: 1° All profits or income that is not placed in reserves or incorporated into capital; 2° All sums or securities made available to members, shareho…
Our translations are produced and reviewed for accuracy, but the only legally binding version of French law is the French original. For court, registry or contractual use we offer lawyer-reviewed or sworn certified translations on request.
Articles are synced with Légifrance and updated as soon as a reform is published in the Journal Officiel, so you always read the version in force — and can see when each article was last amended.
Each article is linked to the key court decisions (Cour de cassation, Conseil d'État, courts of appeal) that interpret it, so you can read the text and its case-law application side by side.
Yes — every article has an AI plain-English summary, and you can order a lawyer-reviewed explanation of how it applies to your specific situation, with next steps.
No. Reading and searching the codes is free with no login. Paid services — certified translation and the legal application report — are entirely optional.
Avocate au Barreau de Paris
Toque #C2396
15+ Years In French Corporate Practice
English · French · Russian
Ready When You Are
A 20–30 minute call, in English, to scope the engagement. No obligation, no preliminary fee. You will leave the call with a clear view of what the work will cover and what it will cost.
20+ full codes and 2,400+ articles in English, with the key court rulings linked to every article — free to read.
Read MoreA lawyer-reviewed report explaining how the relevant articles apply to your situation, with case-law analysis and next steps.
Read MoreScope your matter with a Paris-Bar avocate — incorporation, contracts, disputes — handled bilingually, end to end.
Read More