French inheritance law is so different from English inheritancelaw but it might as well be on another planet.
You need to have a French will to deal with French assets and anEnglish will to deal with English assets.
The opposing wills cannot deal with the opposing assets and if youdo not have a will in the appropriate jurisdiction, then the assets in thatjurisdiction are dealt with the rules of intestacy in that country
Does that answer the question? Can I assist further or answer anyspecific queries?
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