IP Box: the little-known tax advantage for software publishers and platform developers

9 October 2025
2 p.m.

Find out how software publishers can take advantage of the IP Box tax scheme to reduce tax on revenues from licenses, SaaS, platforms and embedded software.

Since 2019, the IP Box system has been a standard feature of the major fiscal leverage to support R&D and innovation companies. While the Finance Act 2025 tightened the conditions for CIR-CII and JEI status. IP Box device remains unchanged and offers a welcome tax cushion for innovative companies and in particular software publishers.

With IP Box option : taxation reduced to 10% on revenues from intellectual property assets (patents, original software protected by copyright, etc.)
Against a charge of 25% without IP Box option

What you'll learn in this webinar :

  • IP Box device overview conditions, scope of application, eligibility criteria, possibility of retroactive application
  • Points of vigilance contracts, traceability of accounting data, linkage with the CIR
  • Feedback of the first tax audits

A question and answer session will close the presentation. You can submit your questions via the registration form.

Who is this webinar for?

  • Software publishers (embedded software, on-premise software, SaaS, platforms...)
  • Directions financial and fiscal
  • Directions and innovation
  • SMEs, ETIs and large groups control their taxation and the financing of their innovation

Register for free in just one click!

Don't miss this opportunity to understand how theIP Box can reduce the tax burden on your software revenues and secure your tax affairs. This webinar is organized with our privileged partner, the HOCHE law firma specialist in corporate and group taxation.

The webinar will be hosted by :

Rémy Maurau

Rémy MAURAU - IP Box expert consultant - G.A.C. Group

After a PhD in materials science (Université Pierre et Marie Curie) and research experience at the CNRS, Rémy specialized in innovation financing. For over 10 years, he has been helping innovative companies, SMEs, ETIs and major groups to implement and secure innovation-related tax schemes. Passionate about these issues, Rémy has been developing his expertise in the IP Box preferential tax regime since its inception.

Zoé DE DAMPIERRE

Zoé DE DAMPIERRE - Lawyer (corporate taxation department) - HOCHE Avocats

A lawyer in Hoche Avocats' corporate tax department since 2012, Zoé advises French and international groups on their day-to-day tax issues, exceptional transactions as well as tax audits and litigation. Appointed Counsel in 2023, she regularly leads conferences and training courses, including the "Rencontres fiscales" and sessions with the EFE.

Eric QUENTIN

Eric QUENTIN - Tax Lawyer - HOCHE Avocats

Recognized specialist in tax lawFor over 30 years, Éric has been advising companies and investors on transaction taxation, restructuring (mergers, acquisitions, LBOs, etc.) and tax consolidation. He also advises on deferred tax management, effective tax rates and assistance with tax audits and litigation. Member of the Executive Committee of Hoche AvocatsHe represents the firm with France Invest and regularly hosts specialist conferences and seminars.

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