By Dr. Felix Lessambo
He makes a speciality of the taxation of foreign transactions, move pricing, E.U. legislation, and overseas finance. he's the writer of Taxation of overseas enterprise Transactions and several other top articles in overseas tax legislations reports. it truly is quite during this zone of “E.U. direct taxation regime” that Dr. Lessambo has been the main difficult. He foresaw what others weren't keen to work out, to listen to, or to acknowledge.
Dr. Lessambo is the 1st pupil to argue opposed to the incompatibility of the French managed overseas company (CFC), the French move pricing provision (Article 57), the French thin-capitalization ideas (Article 212), the French taxation regime of artists (Article 155A), and the Luxembourg Securitization legislations, with appreciate to either the E.U. legislation and the OECD treaty.
Ten years past, in 1999, sooner than his time, Dr. Lessambo got here out, for the 1st time, in line with Professor Bernard Castagnede, with the opinion that the only real solution to crack down using “preferred tax regimes” is to expand the scope of the alternate of knowledge between tax and fiscal gurus. The G-20 Summit in London has followed the opinion in the course of the area monetary problem (2009).
He lectured with the ecu American Tax Institute (“EATI”) and different company organizations.
He lives in big apple and serves at the forums of varied Christian organizations.
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