We structure funds both onshore and offshore for German institutional investors, including both the legal implementation of fund concepts as well as the due diligence for regulated investors. We implement fund structures and provide both legal and tax support. We have decades of experience in advising regulated investors on their specific regulatory requirements.
Our Experience:
- Advisory and consulting services for a German fund sponsor on the setup of a Luxembourg RAIF investing in the US for professional and semi-professional investors
- Legal and tax advice regarding vehicle choice of a Luxembourg investment platform for a German pension scheme
- VAT advice concerning cross-border distributor structure for a Luxembourg RAIF
- Legal requirements on cross-border delegation regarding portfolio management
- Advising a Luxembourg FCP with German investors regarding characterization as Reverse Hybrid pursuant to ATAD II
News
Funds and Products
July 25, 2016
beinformed: The RAIF is Coming!
Luxembourg has implemented the proposed new fund type. The new fund type is called the “reserved alternative investment fund”, or “RAIF” or “FIAR” for short. It enjoys the same benefits as the specialized investment fund governed by the Law of ... (more)>
July 18, 2016
beinformed: Bundesrat approved new German Investment Tax Act
The Bundesrat approved the new investment tax law on July 8, 2016. This law will govern German and foreign funds receiving German source income and capital gains as of January 1, 2018. With its new concept the Bundesrat puts foreign funds on ... (more)>
May 11, 2016
Ranking Chambers Europe 2016 - Investment Funds
We are delighted to announce that Chambers Europe 2016 has continued to recommend our name partners Carsten Bödecker and Carsten Ernst as Leaders in their Fields' for 'Investment Funds: Germany'. Since 1999, Chambers and Partners have been researching the legal ... (more)>
We provide legal and tax advice on financing issues arising in connection with real estate credit financing and structured hybrid financing. We also advise on asset-based finance and project finance.
Our Experience:
- Legal and tax due diligence of an investment in aircraft financing for a debt fund
- Legal structuring of a hybrid financing instrument under Solvency II principles
- Legal structuring of a hybrid financing instrument under the German Investment Ordinance for German insurance companies
- Tax and insurance regulatory advice on the acquisition of an Italian solar park via a promissory note or debenture bond.
- Financing structures of multi-tiered Luxembourg Real Estate Funds
- Legal and tax due diligence of a syndicate participation of a credit fund
News
Finance
October 22, 2024
beinformed: Financing for the Future Act II - Planned amendments to the German Investment Tax Act
On August 27, 2024, the draft bill for a Financing for the Future Act II (Zweites Zukunftsfinanzierungsgesetz - ZuFinG II) was published. The almost 210-page draft also contains fundamental changes to the German Investment Tax Act, which the Federal Ministry of ... (more)>
January 30, 2024
beinformed: From growth to promotion law - changes to the interest barrier now in the Secondary Credit Market Promotion Act
In our beinformed dated October 4, 2023, we presented the intended changes to the previous interest rate cap regulations and the introduction of the so-called interest rate cap through the Act to Strengthen Growth Opportunities, Investment and Innovation as well as ... (more)>
October 23, 2023
beinformed: Growth Opportunities Act and Interest Barrier – Restricting instead of Growing
The extensive draft (just under 280 pages) for a law to strengthen growth opportunities, investment and innovation as well as tax simplification and tax fairness (Growth Opportunities Act) contains a number of changes that are important for the real estate ... (more)>
Real Estate and M&A
What we do
We advise on all legal and tax issues in connection with real estate. We advise real estate funds regulated under the German Investment Code as well as foreign non-regulated funds on the structuring of domestic and foreign acquisitions.
Our Experience:
- Tax advice on the transfer of a direct investment of a German pension fund (Versorgungswerk) in a German real estate special fund (Immobiliensondervermögen) into a real estate pooling vehicle of such pension fund in the legal form of a German investment limited partnership (Investmentkommanditgesellschaft)
- Advising on the allocation of real estate transfer tax on German real estate to a Luxembourg sub-fund
- Assessing the risk of active entrepreneurial management as part of the investor’s due diligence of a German real estate fund
- Regulatory and tax consulting services for a fund sponsor on establishing a Luxembourg AIF as an asset pooling vehicle for a German corporation under public law
- VAT consulting on investment advisory services to a Luxembourg alternative investment fund investing in German real estate
- Legal and tax due diligence of a US real estate fund for a German occupational pension scheme (Versorgungswerk) including side-letter negotiations
- Structuring of a Luxembourg AIF for German institutional investors investing in US real estate
News
Real Estate and M&A
October 22, 2024
beinformed: ZuFinG II - New approach for EEG investments in real estate funds
On August 22, 2024, the Federal Ministry of Finance published the draft bill for a Second Act on the Financing of Future-Proof Investments (Zweites Zukunftsfinanzierungsgesetz – ZuFinG II). The aim is to enable real estate funds to supplement their real estate ... (more)>
October 22, 2024
beinformed: Financing for the Future Act II - Planned amendments to the German Investment Tax Act
On August 27, 2024, the draft bill for a Financing for the Future Act II (Zweites Zukunftsfinanzierungsgesetz - ZuFinG II) was published. The almost 210-page draft also contains fundamental changes to the German Investment Tax Act, which the Federal Ministry of ... (more)>
February 14, 2024
beinformed: Final application decree on the Foreign Tax Act reduces the administrative burden of add-back declarations
At the end of last year, the Federal Ministry of Finance published the application decree on the CFC Act. There is positive news to report: (1) Investors, for whom the attributed income does not trigger a tax liability, do not ... (more)>
We advise corporate treasurers on capital investments in connection with cash and investment management.
We will gladly provide you with further references.
Our Experience:
- Advice on a liquidity portfolio investment in a fund vehicle investing in supplier's short-term credits (Supply Chain Finance)
- Advice on outsourcing/covering of pension liabilities
- Advice on tax treatment of hedging instruments
- Advice on tax accounting of income from investment funds and special-investment funds pursuant to the German Investment Tax Act 2018 and processing of such income in the annual tax returns of institutional investors
- Advice on tax issues in securitization projects
News
Treasury
January 20, 2023
beinformed: 2022 Annual Tax Act – Amendments to the Investment Tax Act
The 2022 Annual Tax Act, which was passed by the German Federal Council (Bundesrat) on 16 December 2022 (Federal Law Gazette I 2022, 2294), will also result in amendments to the German Investment Tax Act. The aim of the amendments is ... (more)>
April 15, 2021
beinformed: Transition of ATAD 1 and ATAD 2 into German law – more than 15 months after the first draft, the Federal Government's bill follows
The (EU) 2016/1164 Directive dated July 12, 2016, and the (EU) 2017/952 Directive dated May 29, 2017 (EU Anti-Tax Avoidance Directives or ATAD 1 and ATAD 2), should already have been enacted into national law respectively by December 31, 2018, pursuant to Article 11 ATAD 1, and ... (more)>
September 23, 2019
beinformed: German Federal Fiscal Court on "van Caster and van Caster": Amended section 6 of the German Investment Tax Act 2004 on lump sum taxation does not violate EU law
Whether the lump-sum taxation in accordance with section 6 of the German Investment Tax Act 2004 (GITA 2004) violates EU or constitutional law in the absence of the tax bases in accordance with section 5 of the GITA 2004 has ... (more)>
Institutional Investors
What we do
We advise pension funds, insurance companies and other institutional investors on tax and regulatory issues on their investments.
Our Experience:
- Advisory and consulting services on the setup of a Luxembourg Specialized Investment Fund (SIF) in the legal form of an S.C.S. for bundling a German insurance company's capital investments (review and revision of legal documentation, e.g. S.C.S. Agreement, Offering Memorandum of the fund, AIFM Agreement, Depository Agreement, Register and Transfer Agency Agreement, Domicilation Agreement etc.)
- Legal advice regarding liability risk for a member of an advisory committee in an English limited partnership
- Advice on pooling of capital investments in Luxembourg and German vehicles for several insurance companies in connection with the asset classes of infrastructure, real estate and private equity
- Development of a renewable energy concept under tax and investment law for a master fund structure of German pension schemes of the liberal professions
- Advising a pension fund on the VAT status regarding collection of pension contributions
News
Insurance
October 22, 2024
beinformed: Financing for the Future Act II - Planned amendments to the German Investment Tax Act
On August 27, 2024, the draft bill for a Financing for the Future Act II (Zweites Zukunftsfinanzierungsgesetz - ZuFinG II) was published. The almost 210-page draft also contains fundamental changes to the German Investment Tax Act, which the Federal Ministry of ... (more)>
July 15, 2024
beinformed: Overdue - Infrastructure Quota in the Investment Regulation
In late June, the Federal Ministry of Labour and Social Affairs and the Federal Ministry of Finance published the ministerial draft of a Second Act to Strengthen Occupational Pensions. Among other things, it provides for amendments to the Regulation on ... (more)>
February 14, 2024
beinformed: Final application decree on the Foreign Tax Act reduces the administrative burden of add-back declarations
At the end of last year, the Federal Ministry of Finance published the application decree on the CFC Act. There is positive news to report: (1) Investors, for whom the attributed income does not trigger a tax liability, do not ... (more)>
International Taxation
What we do
We advise on cross-border investments and the structuring of international funds.
Our Experience:
- Tax due diligence for an investment in a real estate fund under Luxembourg ATAD 2/DAC 6
- Tax and legal (insurance regulatory) structuring of a Luxembourg real estate fund investing in US real estate
- Tax Due Diligence for an investment of a German Pension Fund in Japanese residential properties via a Luxembourg AIF
- Tax advice for a Luxembourg holding concerning an exemption procedure pursuant para. 50d Income Tax Act
- Determining the place of management upon cross-boarder outsourcing of portfolio management
- Advice on the qualification of a German professional pension scheme as a specified widely held entity under Qualified Investor Rules of an Managed Investment Trust investing in Australien real properties
- Examination of the application of German CFC rules to a Luxembourg acquisition and financing structure in US real properties for the German branch of a European insurance group
News
International Taxation
November 28, 2017
beinformed: Substance matters! How to avoid an abusive directive shopping structure
More than ten years after Cadbury Schweppes, the European Court of Justice reaffirmed that directive benefits cannot be denied on the basis of assumptions laid down in domestic tax laws. Substance must be tested but cannot be denied on the ... (more)>
October 10, 2017
beinformed: German source taxation of investment funds
With the German investment tax reform come many changes. In addition to dividend and real estate income, there is one other form of taxable income that, until now, has been not been in the center of attention as much: other ... (more)>
August 18, 2017
beinformed: German Fiscal Court on Sec. 6a of the German Real Estate Transfer Tax Act – Broad interpretation due to national law but potential state aid
With its decision dated May 30, 2017, the German Federal Fiscal Court referred several questions as to a potential state aid qualification of the tax exemption according to Sec. 6a of the German Real Estate Transfer Tax Act to the European Court ... (more)>
Compliance for Funds
What we do
We advise investment companies, financial service providers and foreign funds on all legal and tax compliance.
Our Experience:
- Defining the role of an AIFM as compared to that of a general partner of an investment management company under the AIFMD and German Investment Code
- Supervising and monitoring the audit of several foreign real estate and private equity funds
- FATCA support, e.g. classification of investment products, and related legal advice
- Eligibility of shareholder loans as an investment pursuant § 285(3) sentence 2 of the German Capital Investment Code and criteria of the 50 % threshold of § 285(3) sentence 2 of the German Capital Investment Code
- Second Review of a Tax Structure Report for German institutional investors in a Luxembourg-based alternative investment fund with investments in the Asia-Pacific region
- Advised management companies, portfolio managers and investment advisors on marketing and authorization requirements and procedure (with or without application of the EU passport regime, including notification procedures)
News
Compliance for Funds
August 21, 2017
Workshop on Investment Taxation
Forum Kapitalmarktinstrumente – Kapitalmarktfinanzierung e. V. and bepartners invited interested students to bepartners' Düsseldorf office for a workshop on investment taxation on Wednesday, June 28, 2017. Our partner Dr. Carsten Bödecker and our attorney-at-law Nathalie Grenewitz offered theoretical and practical insights on the basics ... (more)>
July 28, 2017
beinformed: German Fiscal Court on Funds and Equal Treatment Under the EU Freedoms
Under the current tax regime Germany grants a tax exemption only for domestic funds but not for foreign funds. The Fiscal Court Münster (20/04/2017,10 K 3059/14 K) ruled that this does not violate the EU freedoms because the situation of ... (more)>
July 6, 2017
beinformed: German Federal Ministry of Finance clarifies determination of the applicable partial tax exemption regime under 2018 Investment Tax Reform
The German Investment Tax Reform will enter into force on January 1, 2018. Meanwhile, the German Fiscal Authorities are working on a comprehensive circular to address and clarify important questions arising in connection with the interpretation of the new law before ... (more)>