Disclosure obligations acc. to Sec. 138d ff. of the German Fiscal Code
Important information for the FS Real Estate Sector August 2023
In this flyer you will find a concise overview of the relevant information
In addition to the already existing disclosure obligations for cross-border tax arrangements ("DAC6") pursuant to Sec. 138d – 138k, the "Growth Opportunities Act" (draft bill published on 30.08.2023(a)) is also intended to introduce an additional disclosure obligation for purely domestic tax arrangements (“DomTA”) in a draft of Sec. 138l – 138n of the German Fiscal Code.
We are happy to support you with the disclosure obligations pursuant to Sec. 138d ff. of the German Fiscal Code with our comprehensive service offering:
© 2023 KPMG AG Wirtschaftsprüfungsgesellschaft, a corporation under German law and a member firm of the KPMG global organization of independent member firms affiliated with KPMG International Limited, a private English company limited by guarantee. All rights reserved.
Plattform
Strategy Analysis & Disclosure DAC6 Processor Note.: (a) Act to Strengthen Growth Opportunities, Investment and Innovation as well as Tax Simplification and Tax Fairness
E-Learning
Workshops Set-up of Internal Processes
Draft of the Growth Opportunities Act –Disclosure obligation for domestic tax arrangements
What is new?(a) Scope
The obvious first: a tax arrangement no longer has to be cross-border to be reportable.However, there are additional criteria for a disclosure obligation such as turnover thresholds or certain user groups, e.g.:
• The relevant taxpayer is an investment fund or a special investment fund within the meaning of the German Investment Tax Act, or its investors, or
• The relevant taxpayer belongs to a group within the m eaning of § 18 of the German Stock Corporation Act.
Deadlines
Instead of the 30-day period, a 2-month disclosure period applies to DomTA and 30 days instead of 10 days for marketable arrangement.
New Hallmarks
Unconditional Hallmarks do not apply to DomTA. In addition to the existing Conditional Hallmarks (except for C-Hallmarks), three new Hallmarks have been added:
• Multiple classification of taxable events
• Generation of taxable losses and wholly or partially exempt income
• Arrangements in the area of tax deduction from capital gains
Applicable Periods
BMF will be authorized to determine a first application date with a lead up time of at least 1 year. Accordingly, only DomTA where the event triggering the disclosure obligation occurred after this application date are subject to disclosure. This means that the first application date will be no earlier than January 1, 2025 and no later than approx. January 1, 2028.
What remainsthe same?(a)
Conditional Hallmarks & Main Benefit Test
The Conditional Hallmarks A1 (confidentiality clause), A2 (contingent fee) and A3 (standardized documentation) also apply unchanged to DomTA. The definition of the “main benefit test” for DomTA is the same as the previous definition for DAC6.
Involved Persons & Types of affected taxes
The definitions of the intermediary, relevant taxpayer, and the other participants involved in the arrangement basically correspond to the previous definitions for DAC6. The types of affected taxes correspond to DAC6; thus, in principle, all types of taxes with the exception of VAT.
Disclosure Process
Filing (official data record/official interface) to the Federal Central Tax Office an updated form is also expected with respect to the DAC6 form via BOP.
© 2023 KPMG AG Wirtschaftsprüfungsgesellschaft, a corporation under German law and a member firm of the KPMG global organization of independent member firms affiliated with KPMG International Limited, a private English company limited by guarantee. All rights reserved.
Note.: (a) Compared to the previous DAC6 disclosure requirements for cross-border tax
arrangements.
Service Offering –
How we can support you
E-Learning Platform
You can embed our intuitive online training courses with explanatory video sequences and illustrations including automated reminders directly into your company's internal (training) system.
Set-up of Internal Processes
We support you in the internal creation, implementation of efficient and guidelinecompliant processes in connection with the disclosure obligations pursuant to Sec. 138d ff of the German Fiscal Code.
Analysis & Disclosure
We take care of the examination of all relevant facts and cases to check for a potential disclosure obligation. If necessary, we further take care of the preparation and transmission of the respective reporting.
Your FS Tax Real Estate contacts
KPMG AG
Wirtschaftsprüfungsgesellschaft
Stefan Kunze Partner
T +49 89 9282-6894 skunze@kpmg.com
www.kpmg.de www.kpmg.de/socialmedia
Workshops
We train your employees in individual workshops in which tailor-made case studies and questions are discussed and explained.
Strategy
Together with you, we develop the company's internal DAC6 strategy and document and explain it in the form of a strategy paper as well as technical work aids for your employees.
KPMG DAC6 Processor
Your digital platform for the preparation and transmission of reportings in accordance with Sec. 138d ff of the German Fiscal Code via the integrated interface to the Federal Central Tax Office as well as documentation of all necessary documents and processes.
Christian Herzberg Manager
T +49 40 32015-4597 cherzberg@kpmg.com
Lisa Schlimgen Managerin
T +49 69 9587-6418
lschlimgen@kpmg.com
The information contained herein is of a general nature and is not intended to address the circumstances of any particular individual or entity. Although we endeavor to provide accurate and timely information, there can be no guarantee that such information is accurate as of the date it is received or that it will continue to be accurate in the future. No one should act on such information without appropriate professional advice after a thorough examination of the particular situation.
© 2023 KPMG AG Wirtschaftsprüfungsgesellschaft, a corporation under German law and a member firm of the KPMG global organization of independent member firms affiliated with KPMG International Limited, a private English company limited by guarantee. All rights reserved. The KPMG name and logo are trademarks used under license by the independent member firms of the KPMG global organization.
© 2023 KPMG AG Wirtschaftsprüfungsgesellschaft, a corporation under German law and a member firm of the KPMG global organization of independent member firms affiliated with KPMG International Limited, a private English company limited by guarantee. All rights reserved.