Exit Tax: The Return of a Symbolic Measure Against Tax Exile

After several years of relaxation, the French Parliament has voted to reinstate the exit tax in its original form. Initially introduced in 2011 to curb tax evasion, this emblematic measure brings the issue of expatriate taxation back to the forefront of the economic debate. Yet, between sending a strong message and risking capital flight, France finds itself walking a fine line.

Key Takeaways

  • On November 3, 2025, Parliament voted to restore the exit tax to its 2011 version.
  • The aim is to tax unrealized capital gains held by taxpayers who transfer their tax residence abroad.
  • The measure is expected to generate around €70 million in revenue for the State in 2026.

The National Assembly Reinstates the Exit Tax

On Monday, November 3, 2025, deputies voted in favor of reintroducing the exit tax — a levy designed to combat tax evasion by wealthy taxpayers leaving France while holding significant financial assets. The amendment, proposed by Jean-Philippe Tanguy (RN), passed with 70 votes to 55 as part of the 2026 Finance Bill review.

Originally introduced in 1998, abolished in 2005, and reinstated in 2011 under President Nicolas Sarkozy, the exit tax was later softened in 2019 under President Emmanuel Macron’s administration. Now, it returns in its original, stricter form.

What Is the Exit Tax?

The exit tax targets French tax residents who move their fiscal domicile abroad while holding significant shares or portfolios in companies. Its purpose: to prevent them from realizing capital gains abroad and avoiding French taxation.

In practical terms, unrealized gains (the potential profit on unsold shares) are taxed at the time of departure. However, if the taxpayer keeps their holdings for 15 years, they may obtain a full refund of the tax paid.

The 2018 reform led by Emmanuel Macron had shortened this period to two years, or five years for portfolios exceeding €2.5 million. In practice, this meant that by waiting just two years after leaving France, individuals could sell their shares abroad and avoid paying French tax entirely. The new legislation aims to close this loophole.

Although this measure is not expected to drastically change public revenues — with only €70 million projected for 2026, according to Public Accounts Minister Amélie de Montchalin — its deterrent effect remains its main objective.

A Symbolic but Political Move

Supporters of the reinstatement see the exit tax as a symbol of fiscal fairness. They argue that France needs to restore safeguards in a system that had become overly lenient. Returning to the 2011 framework sends a clear political message: France intends to discourage tax-driven expatriation.

However, the government admits that this approach must strike a delicate balance.

“If we extend the period back to fifteen years, France would lose competitiveness and fall out of step with other European countries.”
Public Accounts Minister, during parliamentary debates

The debate remains highly sensitive, sitting at the intersection of fiscal competitiveness and tax equity.

A Preventive Rather Than Profitable Measure

The numbers speak for themselves: €70 million expected in 2026 — a negligible share of the State’s overall budget. Historically, the exit tax has had limited fiscal returns, but its mere existence serves as a psychological and preventive barrier.

In short, the measure’s primary role is not to generate revenue, but to preserve France’s fiscal integrity and deter purely tax-motivated relocations.

Need Expert Tax Advice?

Managing cross-border tax obligations and understanding expatriation rules can be complex. ESCEC International, a firm specialized in French and international taxation, can guide you through your tax relocation, wealth management, and compliance strategies.

Visit www.escec-international.com to learn how we can help you navigate tax rules in France and abroad.