Leaving France for Cyprus: the 2026 tax picture
See the headline tax shift, the departure exposure and the questions a cited brief resolves for this move.
The two snapshots, side by side.
Headline rates orient the move. Each line carries the source and retrieval date used for both country snapshots.
What leaving France triggers.
An exit-tax review is required.
Exit tax on substantial shareholdings on departure. Confirm the treatment of your residence history, assets and retained income with your advisor.
What Cyprus offers.
Non-dom regime: dividends/interest free of defence tax for 17 years.
Eligibility, duration, income scope and substance requirements belong in the live review.
Open the Cyprus jurisdiction briefingThe paid brief checks the current treaty position live.
Direct answers for this move.
Does France tax me after I leave?
Yes, departure can trigger a tax review. Exit tax on substantial shareholdings on departure. Confirm the application to your holdings and residence history with your advisor.
What is the income tax rate in Cyprus?
The snapshot records a top personal income-tax rate of 35%. Your effective rate depends on income type, residency and any available regime.
How are capital gains taxed in Cyprus?
The snapshot records a headline capital-gains rate of 0%. Asset-specific exemptions and local-source rules can change the payable result.
What happens to my France property?
France-source property can remain within France tax and reporting rules after you move. The dataset has no property-specific corridor figure, so the paid brief researches this live for your property type, ownership and disposal plan.
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The comparison opens with both countries selected.