Anti-deferral rules
Germany
Low-taxed passive income (ie, tax rate of less than 25 percent; from the year 2024 onwards: 15 percent) earned by a foreign corporation in which at least 1 German shareholder holds qualifying ownership interests (ie, an intermediary company) is imputed pro-rata to the German shareholders and is fully subject to German taxation unless the foreign corporation is based in the EU or EEA and carries out an economic activity with regards to the respective low-taxed passive income therein, in which case a limitation may apply.
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