Foto: Stadtansicht mit modernen Hochhäusern während der Morgendämmerung

Private Clients im Internationalen Steuerrecht

Structuring exit taxation and exit tax securely

Cross-border asset and personal situations require forward-looking tax planning. As tax advisors specialized in international tax law for private individuals, we support you in structuring and optimizing internationally connected asset portfolios from a tax perspective.

A particular focus lies on exit taxation (Exit Tax), especially pursuant to Section 6 AStG, as well as on deemed disposal events (Entstrickung) in the corporate context. We analyze your individual situation and develop solutions to identify and manage tax burdens associated with exit taxation at an early stage.

In addition, we advise you on the tax treatment of investments with foreign connections, foreign real estate, as well as international inheritance and gift tax matters. We always keep an eye on complex issues relating to exit tax and cross-border asset relocations.

We assist you in assessing existing structures with foreign connections, for example in relation to foundations or trusts, as well as in the application of double taxation agreements in the private sphere. We also structure pension benefits in an international context with a view to tax-efficient payouts and taking into account exit taxation rules.

News on Exit Taxation

International relocations of residence and assets are often associated with complex tax issues, particularly in the area of exit taxation.

In our latest expert articles, you will learn what you as a private individual should consider from a tax perspective when relocating abroad and in the case of cross-border asset transfers.


Do you have questions on exit tax or require comprehensive support for your relocation abroad?

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