Menu
  • Locations
  • Services
  • Experts
  • Hot Topics
  • News & Knowledge
  • career
  • About us
  • Search
  • Press
  • Events & Webinars
  • Contact
  • Language
  • Berlin
  • Cologne
  • Dusseldorf
  • Frankfurt
  • Hamburg
  • Hannover
  • Munich
  • Nuremberg
  • Regensburg
  • Rosenheim
  • Stuttgart
  • Tax
  • Digital
  • Financial Advisory
  • Industries
  • Legal
  • Centers of Excellence
  • Tax & Digital
  • Advisory
  • News
  • Newsletter overview
  • Newsletter subscription
  • KI Study 2024
  • Values and Vision
  • Our Management Team
  • Our Partners
  • Our History
  • Our locations
  • Corporate Responsibility
  • Tax Service Overview
  • Digital Tax CMS
  • Corporate Tax
  • Financial Services Tax
  • GreenTax & Energy
  • HR Taxes
  • Indirect Tax / VAT
  • International Tax Desks
  • ITP
  • Mergers & Acquisitions Tax
  • Private Clients
  • Tax Controversy / Tax Disputes
  • Transfer Pricing
  • Customs
  • Digital Trends
  • Digital Partnering
  • Digital tools and solutions
  • End-to-end processes
  • AI in tax
  • SAP S/4HANA
  • International Corporate Income Tax rates (CIT rates)
  • Case Studies
  • Reporting & Regulatory
  • Digital Finance
  • Deal Advisory
  • Business Partnering
  • Overview of all industries services
  • Banking/ Capital Markets
  • Insurance
  • oneSTART
  • Real Estate
  • SMEs
  • Overview of all legal services
  • Civil & Commercial Law
  • Climate Regulation & Energy Law
  • Corporate Law
  • Data Privacy & IT Law
  • Employment Law
  • Global Expatriate Service
  • Legal Operate
  • Litigation
  • Restructuring & Performance Management
  • Sustainability Services (ESG)
  • AI in tax
  • plAIground
  • Pillar Two
  • Sustainability Services
  • US tax & customs policy
  • E-Invoicing | ViDA
  • Country by Country Reporting (CbCR)
  • SAP S/4HANA
  • AI
  • Carve out
  • IPO Readiness
  • Refinancing & Distressed Situations
  • IFRS 18
  • Buy-Side M&A
  • Fit for Sale
  • Impairment Test
  • Partners Munich
  • Partners Berlin
  • Partners Dusseldorf
  • Partners Frankfurt
  • Partners Hamburg
  • Partners Hannover
  • Partners Cologne
  • Partners Nuremberg
  • Partners Regensburg
  • Partners Rosenheim
  • Partners Stuttgart
  • Overview of all locations
  • Location Berlin
  • Location Dusseldorf
  • Location Frankfurt
  • Location Cologne
  • Location Hannover
  • Location Hamburg
  • Location Munich
  • Location Regensburg
  • Location Nuremberg
  • Location Rosenheim
  • Location Stuttgart
  • Environment
  • Society Engagement
  • Kulturelles Engagement
  • Diversity
  • HR Taxes Overview
  • Integrated Legal and Tax Advice
  • International Payroll and Shadow Payroll
  • International Assignments/ Global Mobility
  • International Employee Assignments & Project Business
  • Wage Tax
  • National payroll and travel expense accounting
  • Social Security Law & Labour Law
  • Work from Anywhere
  • HR Consulting
  • DAC 7
  • Compliance Manager
  • Comply (by Taxback International)
  • plAIground
  • VAT Health Check
  • CbCR Risk Analyser
  • WTS CbCR-2-XML
  • TPmanager
  • WTS CbCRmanager
  • Tax CMS
  • Cesop
  • GewSTmanager
  • Digital Process Automation
  • end-to-end income tax process
  • end-to-end VAT processes
  • end-to-end customs
  • end-to-end transfer pricing
  • property tax services
  • Energy management processes and systems
  • GRI 207: Tax 2019
  • digital tax CMS
  • Case Study Hartmann Gruppe
  • Case Study WTS TPcompiler
  • Case Study Calculation of transfer prices
  • Case Study CbCR Table I
  • Accounting & Reporting
  • Capital Markets
  • ESG Solutions
  • Carve out / PMI
  • Governance, Risk & Compliance
  • Financial Services
  • Concepts & Systems
  • SAP S/4HANA transformation
  • Optimization
  • Advanced Analytics
  • Performance
  • Artificial Intelligence (AI)
  • Technology partner
  • M&A Strategy
  • Due Diligence
  • Fact Book
  • Valuation
  • Restructuring
  • Modeling Solutions
  • Press
  • Events & Webinars
  • Contact
English
German
  • English
  • German
WTS worldwide
  • WTS Global
  • Albania
  • Algeria
  • Angola
  • Argentina
  • Armenia
  • Australia
  • Austria
  • Bangladesh
  • Belgium
  • Benin
  • Bolivia
  • Bosnia & Herzegovina
  • Botswana
  • Brazil
  • Bulgaria
  • Burkina Faso
  • Burundi
  • Cambodia
  • Cameroon
  • Canada
  • Cape Verde
  • Central African Republic
  • Chad
  • Chile
  • China
  • Colombia
  • Congo Brazzaville
  • Costa Rica
  • Croatia
  • Cyprus
  • Czech Republic
  • Democratic Republic of Congo
  • Denmark
  • Dominican Republic
  • Ecuador
  • Egypt
  • El Salvador
  • Equatorial Guinea
  • Estonia
  • Eswatini
  • Ethiopia
  • Finland
  • France
  • Gabon
  • Gambia
  • Georgia
  • Germany
  • Ghana
  • Gibraltar
  • Greece
  • Guatemala
  • Guinea
  • Guinea-Bissau
  • Honduras
  • Hong Kong
  • Hungary
  • Iceland
  • India
  • Indonesia
  • Iran
  • Iraq
  • Ireland
  • Israel
  • Italy
  • Ivory Coast
  • Japan
  • Kazakhstan
  • Kenya
  • Korea
  • Kyrgyzstan
  • Laos
  • Latvia
  • Liberia
  • Libya
  • Lithuania
  • Luxembourg
  • Macao
  • Madagascar
  • Malawi
  • Malaysia
  • Mali
  • Malta
  • Mauritania
  • Mauritius
  • Mexico
  • Moldova
  • Montenegro
  • Morocco
  • Mozambique
  • Myanmar
  • Namibia
  • Nepal
  • Netherlands
  • New Zealand
  • Niger
  • Nigeria
  • North Macedonia
  • Norway
  • Pakistan
  • Panama
  • Paraguay
  • Peru
  • Philippines
  • Poland
  • Portugal
  • Puerto Rico
  • Romania
  • Rwanda
  • São Tomé and Príncipe
  • Saudi Arabia
  • Senegal
  • Serbia
  • Sierra Leone
  • Singapore
  • Slovakia
  • Slovenia
  • Somalia
  • South Africa
  • South Sudan
  • Spain
  • Sri Lanka
  • Sudan
  • Sweden
  • Switzerland
  • Taiwan
  • Tanzania
  • Thailand
  • Togo
  • Trinidad and Tobago
  • Tunisia
  • Turkey
  • Turkmenistan
  • Uganda
  • Ukraine
  • United Arab Emirates
  • United Kingdom
  • Uruguay
  • USA
  • Uzbekistan
  • Venezuela
  • Vietnam
  • Zambia
  • Zimbabwe
  • Services Clothing
    • Tax
      • Tax Service Overview
      • Digital Tax CMS
      • Corporate Tax
      • Financial Services Tax
      • GreenTax & Energy
      • HR Taxes
        • HR Taxes Overview
        • Integrated Legal and Tax Advice
        • International Payroll and Shadow Payroll
        • International Assignments/ Global Mobility
        • International Employee Assignments & Project Business
        • Wage Tax
        • National payroll and travel expense accounting
        • Social Security Law & Labour Law
        • Work from Anywhere
        • HR Consulting
      • Indirect Tax / VAT
        • DAC 7
      • International Tax Desks
      • ITP
      • Mergers & Acquisitions Tax
      • Private Clients
      • Tax Controversy / Tax Disputes
      • Transfer Pricing
      • Customs
    • Digital
      • Digital Trends
      • Digital Partnering
      • Digital tools and solutions
        • Compliance Manager
        • Comply (by Taxback International)
        • plAIground
        • VAT Health Check
        • CbCR Risk Analyser
        • WTS CbCR-2-XML
        • TPmanager
        • WTS CbCRmanager
        • Tax CMS
        • Cesop
        • GewSTmanager
        • Digital Process Automation
      • End-to-end processes
        • end-to-end income tax process
        • end-to-end VAT processes
        • end-to-end customs
        • end-to-end transfer pricing
        • property tax services
        • Energy management processes and systems
        • GRI 207: Tax 2019
        • digital tax CMS
      • AI in tax
      • SAP S/4HANA
      • International Corporate Income Tax rates (CIT rates)
      • Case Studies
        • Case Study Hartmann Gruppe
        • Case Study WTS TPcompiler
        • Case Study Calculation of transfer prices
        • Case Study CbCR Table I
    • Financial Advisory
      • Reporting & Regulatory
        • Accounting & Reporting
        • Capital Markets
        • ESG Solutions
        • Carve out / PMI
        • Governance, Risk & Compliance
        • Financial Services
      • Digital Finance
        • Concepts & Systems
        • SAP S/4HANA transformation
        • Optimization
        • Advanced Analytics
        • Performance
        • Artificial Intelligence (AI)
        • Technology partner
      • Deal Advisory
        • M&A Strategy
        • Due Diligence
        • Fact Book
        • Valuation
        • Restructuring
        • Modeling Solutions
      • Business Partnering
    • Industries
      • Overview of all industries services
      • Banking/ Capital Markets
      • Insurance
      • oneSTART
      • Real Estate
      • SMEs
    • Legal
      • Overview of all legal services
      • Civil & Commercial Law
      • Climate Regulation & Energy Law
      • Corporate Law
      • Data Privacy & IT Law
      • Employment Law
      • Global Expatriate Service
      • Legal Operate
      • Litigation
    • Centers of Excellence
      • Restructuring & Performance Management
      • Sustainability Services (ESG)
    Services

    Learn more about our comprehensive services in the area of tax as well as relevant legal advice and financial advisory services.

    ESG

    Our sustainability services at a glance

  • Experts
  • Hot Topics Clothing
    • Tax & Digital
      • AI in tax
      • plAIground
      • Pillar Two
      • Sustainability Services
      • US tax & customs policy
      • E-Invoicing | ViDA
      • Country by Country Reporting (CbCR)
    • Advisory
      • SAP S/4HANA
      • AI
      • Carve out
      • IPO Readiness
      • Refinancing & Distressed Situations
      • IFRS 18
      • Buy-Side M&A
      • Fit for Sale
      • Impairment Test
    Hot Topics

    Overview of current tax, digital & advisory hot topics

    Ready for the game?
  • News & Knowledge Clothing
    • News
    • Newsletter overview
    • Newsletter subscription
    • KI Study 2024
    News & Knowledge

    Here you will find the latest news and specials on all aspects of taxation, digitization and financial & deal advisory.

  • career
  • About us Clothing
    • Values and Vision
    • Our Management Team
    • Our Partners
      • Partners Munich
      • Partners Berlin
      • Partners Dusseldorf
      • Partners Frankfurt
      • Partners Hamburg
      • Partners Hannover
      • Partners Cologne
      • Partners Nuremberg
      • Partners Regensburg
      • Partners Rosenheim
      • Partners Stuttgart
    • Our History
    • Our locations
      • Overview of all locations
      • Location Berlin
      • Location Dusseldorf
      • Location Frankfurt
      • Location Cologne
      • Location Hannover
      • Location Hamburg
      • Location Munich
      • Location Regensburg
      • Location Nuremberg
      • Location Rosenheim
      • Location Stuttgart
    • Corporate Responsibility
      • Environment
      • Society Engagement
      • Kulturelles Engagement
      • Diversity
    About us

    WTS at a glance: What makes us special and more information about WTS

    Interested in our art tours in Munich's Werksviertel? 

  • Search
09.02.2022

Impact of recent Coalition Agreement on the Financial Services industry

Author bild-welzel-robert
Robert Welzel
Partner Tax
Lawyer, Certified Tax Consultant
Frankfurt
View Profile

On 25 November, the upcoming German government coalition revealed its political vision for Germany in the upcoming 4 years by presenting the coalition agreement. The agreement is generally good news for the international Financial Services industry, the new government proclaims the importance of the common capital market within the EU and aims to complete the banking union. The agreement is dominated by the idea of digitization and modernization but also emphasizes the importance of countering tax evasion and improper market practices.

Projects of the new government include – among others – the following:

  • Issuing of electronic / crypto stocks Since June 2021, Germany is allowing the introduction of digital securities (fund units and bonds) and crypto securities (bonds only, fund units to follow soon).6 The respective rules shall be extended to equity assets.
  • Facilitation of IPOs, including the issuance of dual class shares
  • Extension of tax reporting obligations under DAC6 to national arrangements
  • Prevent improper use of dividend-arbitrage, esp. via blockchain technology and increased exchange of information between regulatory and tax authorities
  • The focus on digitized and streamlined administrative procedures as well as the combat against tax fraud - especially related to WHT on dividends - is in line with previous projects of streamlining WHT reclaims procedures.7
  • Extension of WHT on German sourced income (adjustment of DTTs) and extension of interest barrier (interest rate barrier)
  • Make Germany the “leading location for sustainable financing” and increase issuing of green bonds while phasing out public financial investments that contradict the goal of climate neutrality
  • Reorganization of retirement financing
  • The government plans to introduce (public) capital based German pension insurance with 10 bn Euro annually, to be invested in the capital market with the purpose of gaining additional funds for retirement payments.
  • Creating a European reinsurance for national deposit guarantee schemes (contributions strictly differentiated according to risk and under the condition of further reduction of risk in bank balance sheets)
     

The new government also emphasizes that it will play an active role in the implementation of global minimum taxation.

The agreement contains many projects related to climate protection, infrastructure and digitization which cannot solely be financed by the government. It can be expected that other investors will be engaged in financing respective projects – which might be a chance for the FS industry.

New CFC rules applicable in 2022

In June 2021, Germany passed revised CFC rules to transpose the EU Anti Tax Avoidance Directive (ATAD) into national law.8 The new rules will be applicable from 1 January 2022 and might especially have an impact on Private Equity structures but are also relevant to (international) investment funds with German investors.

Investment funds as CFC entities

An investment fund subject to the German Investment Tax Act (GITA) is - similar to the previous German CFC regime - usually not considered a CFC. Exceptionally, an investment fund might classify as a CFC if more than 50% of the interest in the fund is held by a German taxpayer (and the fund investor’s - German or non-German - affiliates) and if more than one third of the transactions underlying the income of the fund are conducted with the German taxpayer (or its affiliates). This new exception might be relevant for AIFs with German investors holding a controlling stake.

Blocker function of investment funds

Under previous CFC rules, an investment fund shielded against allocation of passive income from the fund’s CFC subsidiaries to the German investor. According to the revised CFC rules, the blocker function only remains for investment funds that are not controlled by a German taxpayer (and its affiliates). If a German taxpayer (together with affiliates) holds more than 50% of the interest of an investment fund, passive income from subordinate CFCs will be allocated - on a pro rata basis - to the German investor. This legislative change might affect e.g. a controlling German investor in a fund vehicle that invests in target companies holding debt instruments. Low taxed interest income of the target companies will be allocated directly to the German investor. In contrast, if the fund vehicle receives the interest income directly and not via a target company, adverse investor taxation under CFC rules can be avoided.

Impact of revised control concept

The concept of control has been overhauled under the new CFC rules; an entity is controlled if a German taxpayer together with affiliates (under the old regime: together with other German tax payers) holds more than 50% of the entity’s capital or voting rights or is entitled to more than 50% of the entity’s profits or liquidation proceeds. As the control concept includes profit entitlement as the main criterion, debt instruments might also convey a controlling position to their holder, e.g. a certificate of a securitization company.

A further important change affects investments via partnerships. According to the new CFC rules, it is assumed that the partners of a partnership generally act in concert and therefore are treated as affiliates. Thus, if a majority interest in a target company is held by a partnership (fund vehicle) with a German taxpayer as a partner - even if the German partner only holds a minority interest in the partnership, the target company is considered to qualify as “controlled” under the new German CFC rules. The German taxpayer may prove that the partners - in fact - did not act in concert. However, it is currently unclear how this burden of proof shall be fulfilled. The assumption of control for partners of a partnership might affect especially Private Equity funds in the legal form of a partnership (e.g. Luxembourg SCS) or making investments via a partnership.

Dividends as (potential) passive income

An important change affects entities qualifying as CFCs and their equity investments. In contrast to the old rules, under the new CFC rules dividends might be passive income and thus allocated to the German investor. Predominantly, this change affects portfolio investments, i.e. dividends received from target companies in which the CFC holds less than 10% of the (target company’s) capital. Further, the new CFC rules transfer the so-called correspondence principle to the taxation of CFCs; this means that - in general - dividends are passive income (and thus allocated to the German investor) if the dividend payment reduced the target company’s income.

Introduction of check the box for partnerships in Germany

In June 2021 and for the first time ever, Germany introduced the possibility for partnerships to check the box and opt for (opaque) taxation like an entity in corporate legal form. The new rules will be applicable from 1 January 2022. The check the box regime might be interesting for (German) AIFs.

Traditionally, German AIFs and their investors - depending on investment strategy and entity structure - could chose to either be structured in corporate or contractual legal form and thus be subject to the opaque taxation rules for investment funds under GITA or be structured as a partnership and be subject to pass-through taxation under general tax rules. With the new check the box regime, Germany now offers a third potential taxation regime for AIFs structured as a partnership: to opt for opaque corporate taxation. The main benefit of corporate income taxation is the intercorporate privilege / participation exemption: capital gains from equity are 95% tax exempt, dividends are 95% tax exempt if the opting entity holds more than 10% of the (target company’s) capital.

It is advisable to evaluate on a case-by-case basis whether the advantage, e.g. the intercorporate privilege, outweighs potential disadvantages, e.g. additional local trade tax (Gewerbesteuer). The evaluation includes - among others - the following factors:

  • Investor type (corporate entity, tax exempt corporate entity, private person etc.)
  • Asset types
  • Thresholds in equity investments
  • Scope of business activity.
     

The new check the box regime is available for foreign partnerships as well; however, depending on the entity’s tax status in its home jurisdiction: if the partnership opted for or is anyway subject to corporate income taxation in its home jurisdiction, the partnership may opt for corporate income taxation in Germany. If on the other hand the partnership is transparent for income tax purposes in its home jurisdiction, it cannot opt for corporate income taxation in Germany. This latter condition aims at preventing the creation of artificial hybrid structures.

Besides the above described options, the check the box regime is of little relevance for the taxation of investment funds:

  • partnerships that opt for corporate income taxation cannot qualify as investment funds from a German tax law perspective
  • investment funds in the legal form of a partnership cannot opt for corporate income taxation
  • interest in partnerships that opt for corporate income taxation are not in scope of the partial release (Teilfreistellung, sec. 20 GITA) for equity / mixed investment funds under Chapter-2 of GITA
  • an interest in a partnership that opts for corporate income taxation does not qualify as a share in a corporation for the purposes of the tax rules governing the investment requirements (sec. 26 GITA) and for the calculation of the Equity Gain (Aktiengewinn, sec. 48 GITA) of Special Investment Funds under GITA (Chapter-3-Funds).
     

Read the WTS Global Financial Services Newsletter here.

Author bild-welzel-robert
Robert Welzel
Partner Tax
Lawyer, Certified Tax Consultant
Frankfurt
View Profile
Author bild gnutzmann-steffen
Steffen Gnutzmann
Partner Tax
Lawyer
Frankfurt
View Profile
Article published in WTS Global Financial Services Newsletter #23/2021
News from thirteen countries with a focus on the international Financial Services industry
View publication
WTS Newsletter

Our WTS experts regularly provide information on current topics in the areas of tax, legal and financial advisory.

Subscribe now
DAC 6 - Reporting obligations for tax planning
Read more
Articles you might be interested in

News on WHT developments affecting the international Financial Services industry

Global Financial Services Newsletter #23/2021 now available
Read more

News on WHT developments affecting the international Financial Services industry

Global Financial Services Newsletter #22/2021 now available
Read more
WTS Services
Service
Asset Management
Service
Asset Management - Real Estate
Service
Banking / Capital Markets
Service
Insurance

Contact us today

Do you have any questions about our services or WTS? Please let us know. Please fill in our short contact form. We will get in touch with you as soon as possible.

Contact
Services
  • Tax
  • Digital
  • Financial Advisory
  • Industries
  • Legal
  • Centers of Excellence
Hot Topics
  • AI in tax
  • plAIground
  • Pillar Two
  • Sustainability Services
  • E-Invoicing | ViDA
News & Knowledge
  • Newsletter overview
  • Newsletter subscription
Experts
  • About us
  • Values and Vision
  • Our Partners
  • Corporate Responsibility
© 2025 WTS Imprint Company Information Disclaimer Data Protection Statement GTCs supplier information