Mickaël is a Director at Grant Thornton Société d’Avocats, which he joined in 2018.
Prior to joining Grant Thornton, he worked for FIDAL and Mazars Société d’Avocats within their Transfer Pricing departments. Mickaël has also gained knowledge in-house acting as the first Transfer Pricing specialist for one of the leading box shipping company worldwide.
Mickaël advises a wide range of multinational enterprises in all types of engagements, including planning, compliance, dispute resolution and prevention. Leveraging on his dual academic background, he is particularly involved in all financial and economic aspects of such assignments.
Mickaël has developed a specific expertise in financial transactions and is notably involved in the development of the practice within the French-speaking African region.
Mickaël is fluent in English.
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The management of intangible assets
Tax AlertThe management of intangible assets is challenged by transfer pricing controls: a question of legal ownership and economic ownership
Annual transfer pricing declaration
Tax alertThe annual transfer pricing return (form 2257-SD) must be submitted electronically within six months following the corporate income tax return filing deadline.
The criminalization of transfer pricing
Tax alertTransfer pricing litigation has not escaped the trend in recent years towards the penalisation of tax law.
Annual transfer pricing declaration (2257-SD)
Tax alertThe annual transfer pricing return (form 2257-SD) must be submitted electronically within six months following the corporate income tax return filing deadline.
Transfer pricing - identify your French transfer pricing obligations
Tax AlertTransfer pricing: identify your documentary and declarative obligations
Finance Act for 2024 - Transfer pricing under the spotlight of the tax authorities
Tax alertFinance Act 2024 Transfer pricing
The public country-by-country reporting is here!
Tax alertPublic country by country declaration reporting
Transfer pricing policy declaration 2257-SD
Tax alertWhat is the annual transfer pricing declaration 2257-SD?
Annual transfer pricing return 2257-SD
Tax AlertFind out the specifics of the transfer pricing policy statement 2257-SD
Get ready for the public country-by-country reporting!
Tax alertFind out the main features of the new Directive introducing country-by-country reporting (CbCR).
New OECD pillars reshape international taxation
Tax alertThe OECD two-pillar solution and the corporate taxation of the digital economy and large global firms
Annual transfer pricing return 2257-SD
Tax AlertThe specificities of the 2020 transfer pricing return 2257-SD
