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Design Options to Avoid Exit Taxation of Corporation Shares

Published On: 31. March 2025Categories: International tax law

Design options for structuring the relocation abroad with holdings ≥ 1% in domestic and foreign corporations

    1. Basic case: Simple departure with abandonment of unlimited tax liability
    2. Sale of shares to a non-related person subject to reserved usufruct
    3. Asset Deal
    4. Valuation management
    5. Residence management
    6. Conversion of a domestic GmbH into a commercial GmbH & Co. KG
    7. Disguised contribution of a domestic GmbH into a commercial GmbH & Co. KG
    8. Commercial infection of an existing asset-managing KG/GbR
    9. Disguised contribution of the shares into the special operating assets of a commercial public GmbH & Co. KG with a banking license
    10. Donation of the shares to a family foundation
    11. Donation of the shares to a person in Germany with a right of withdrawal according to § 29 ErbStG
    12. Establishment of an atypical silent partnership in domestic GmbHs
    13. Conversion of GmbH into a cooperative
    14. Creation of a holding company in the form of a cooperative
    15. Endowment of a non-transparent life insurance
    16. Sale with call option for repurchase abroad/securities lending
    17. Combination
      1st step: Valuation management
      2nd step: Donation subject to usufruct
      3rd step: Relocation to Switzerland
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