Client benefit
Concrete client benefits.
- Family assets can be governed through a civil-law structure with long-term continuity.
- Control, council powers and beneficiary rights are tested before formation.
- Distributions can be classified before money is paid.
- German substitute inheritance tax can be avoided where the foreign foundation is not subject to the German regime, while other German taxes remain relevant.
- Banking and source-of-wealth documentation are built into the structure.
Tax classification.
For German-connected families, the analysis focuses on attribution under section 15 AStG, founder rights, beneficiary rights, entry taxation, distributions and gift tax exposure.
- Founder control and revocation rights.
- Attribution of income to German residents under section 15 AStG.
- Taxation of distributions, including potential section 20 para. 1 no. 9 EStG treatment.
- Gift tax on transfer into or distributions from the foundation.
- Substance, governance and foreign legal documentation.
Ongoing foundation administration.
The foundation needs council decisions, investment documentation, beneficiary files, banking records, accounts and tax analysis for each distribution.
- Annual council and governance records.
- Beneficiary and distribution decision file.
- Asset management and bank documentation.
- German tax reporting review for founders and beneficiaries.
Set-up and implementation process.
- Clarify family objectives and control requirements.
- Review German residence, beneficiaries and taxable nexus.
- Draft foundation instruments with Liechtenstein counsel.
- Prepare transfer, banking and tax file.
- Set up annual distribution and reporting process.
Typical mistakes.
- Founder keeps excessive control and triggers attribution.
- Beneficiaries receive payments without tax classification.
- Gift tax is ignored at transfer or distribution stage.
- Banking is attempted without source-of-wealth file.
- Foundation governance is not kept separate from family wishes.
What Kanzlei Meyers & Partner AG delivers.
- AStG and distribution tax memo.
- Control and governance analysis.
- Foundation formation roadmap with local counsel.
- Banking/KYC and source-of-wealth file.
- Distribution decision template.
- Annual reporting calendar.
Documents for the first review.
- Draft or existing foundation documents.
- Founder and beneficiary residence overview.
- Asset list and transfer plan.
- Existing wills, family agreements and companies.
- Bank and source-of-wealth documentation.
- Planned distribution policy.
Result of the initial consultation.
The first review ends with a documented decision file: target structure, tax assumptions, exclusion points, implementation sequence, document list and clear next steps.
- Decision matrix with recommended structure and rejected alternatives.
- Tax and compliance workstream with open points, deadlines and responsible parties.
- Implementation plan for entity formation, banking, governance and ongoing administration.
Legal position and limits.
No foundation result is promised without reviewing German attribution, gift tax, distribution taxation, anti-abuse, local law and banking requirements.
Frequently asked questions.
FAQDoes a Liechtenstein Foundation avoid German tax?
No general statement can be made. Attribution, distributions, gift tax and residence must be reviewed.
FAQIs there German substitute inheritance tax?
The German substitute inheritance tax regime is different for foreign foundations, but other German tax rules can still apply.
FAQCan the founder remain in control?
Control rights are a central risk factor. Excessive powers can undermine the intended tax and asset-protection result.
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