Amazon did not reveal how much it had paid over a French claim for nearly 200 million euros ($249 million) covering the period from 2006 to 2010.
It is one of several American technology giants in the line of fire in Europe over their tax-avoidance strategies, which often sees them route their income through low-tax nations -- in Amazon's case, Luxembourg.
French President Emmanuel Macron has proposed a new mechanism for taxing US tech companies that would take into account the volume of sales generated in each European country, rather than on the profits that are booked through low-tax jurisdictions.
In 2012, Amazon revealed that it had been hit with a 198 -million-euro tax bill in France for back taxes, interest and penalties relating to income spread between different jurisdictions.
At the time, the company had said it disagreed with the French assessment and vowed to "vigorously" fight it.
In its statement Monday, Amazon said it had created a French subsidiary for its European operations in August 2015, "with all retail revenues, expenses, profits and taxes due now accounted for in France."
European officials have vowed to make the digital economy giants known as GAFA -- Google, Amazon, Facebook and Apple -- pay a greater share of their taxes in the countries where they earn their profits.
Under current EU law, companies based outside the bloc can declare their earnings from across the 28-nation market in a single country.
That has led them to pick low-tax nations like Ireland, the Netherlands or Luxembourg -- depriving other member states of revenues, even though they may account for a bigger share of the earnings.
On Sunday, EU Economic Affairs Commissioner Pierre Moscovici said he would unveil by the end of March a plan to "create a consensus and an electroshock" on taxing digital economy revenues.
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