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crime
Paris Trial Set for Belgian Prince in Tax Fraud Case
crimePolitique

Paris Trial Set for Belgian Prince in Tax Fraud Case

8 janvier 2026•5 min de lecture•897 words
Paris Trial Set for Belgian Prince in Tax Fraud Case
Paris Trial Set for Belgian Prince in Tax Fraud Case
📋

Key Facts

  • ✓ A trial is scheduled for late 2026 in Paris for a Belgian prince and other defendants.
  • ✓ The hearing is set to take place from November 2 to December 3, 2026.
  • ✓ The trial will consist of 15 half-day sessions.
  • ✓ The case involves a complex system for defrauding the French tax authorities.
  • ✓ The defendants include a Belgian prince, three companies, and 14 other individuals.

In This Article

  1. Quick Summary
  2. Trial Schedule and Logistics
  3. The Defendants
  4. Nature of the Allegations
  5. Legal Context and Implications

Quick Summary#

A significant judicial proceeding is set to commence in Paris involving a Belgian prince and several other defendants. The trial concerns a sophisticated scheme allegedly designed to defraud the French tax authorities on a massive scale.

The court has allocated a substantial timeframe for these proceedings. The hearing is scheduled to last for one full month, beginning on November 2 and concluding on December 3, 2026. During this period, the court will convene for 15 half-day sessions to hear the case against the involved parties.

Trial Schedule and Logistics#

The judicial calendar has been formally set for the trial concerning the alleged tax fraud network. The proceedings are slated to span a significant portion of late 2026, offering a dedicated window for the court to examine the complex evidence presented. This extended schedule reflects the anticipated complexity and volume of the case.

The trial will be conducted over the course of November and December 2026. Specifically, the hearings are planned to run from the 2nd of November until the 3rd of December. The court's agenda includes 15 half-day sessions to accommodate the arguments and testimonies required for this case.

The Defendants#

The case brings together a diverse group of defendants accused of participating in a coordinated effort to evade fiscal obligations. Among those scheduled to appear before the court is a Belgian prince, placing a spotlight on the high-profile nature of the accused.

In addition to the individual prince, the court will also hear the case against three companies and 14 other individuals. All defendants are accused of being key players in the alleged system of fraud targeting the French state's revenue.

Nature of the Allegations#

The core of the prosecution's case revolves around the alleged creation and operation of a complex system intended for large-scale tax evasion. The defendants are accused of working in concert to bypass French tax laws, resulting in significant financial losses for the public treasury.

The investigation has reportedly been linked to the Dubaï Papers, suggesting that the alleged financial maneuvers may have involved international connections, potentially linking activities in Dubaï to the French fiscal system. The trial will scrutinize the mechanics of this alleged fraud and the roles each defendant played within it.

Legal Context and Implications#

This trial represents a major effort by the fisc français (French tax authorities) to prosecute alleged large-scale financial crimes. The outcome of these proceedings could have broader implications for how international tax evasion schemes are investigated and prosecuted within the French legal system.

The involvement of a foreign royal and multiple corporate entities underscores the cross-border nature of modern financial crime. The court's examination of the Dubaï Papers connection will be a critical component of the trial, potentially shedding light on the methods used to move and conceal assets internationally.

Source originale

Le Figaro

Publié à l'origine

8 janvier 2026 à 20:57

Cet article a été traité par l'IA pour améliorer la clarté, la traduction et la lisibilité. Nous renvoyons toujours à la source originale.

Voir l'article original
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