German Tax Reporting for Hedge Funds Frank Schmidt 28 th & 29 th September 2009 Deutsche Börse AG - Eurex.

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Presentation transcript:

German Tax Reporting for Hedge Funds Frank Schmidt 28 th & 29 th September 2009 Deutsche Börse AG - Eurex

The German Investment Tax Act (1) 28th & 29th September German Tax Reporting for Hedge Funds The German Investment Tax Act (Investmentsteuergesetz; “InvStG”) came into force on 1 January 2004 (the following is based on the assumption that the BAFin requirements for a foreign fund are met, i.e. that the InvStG applies) Introduction of in principle uniform rules for German and foreign funds (i.e. also for Hedge Funds) Categories of funds from a German tax perspective: Transparent funds: Compliance with detailed reporting requirements Semi-transparent funds: Compliance with minimum reporting requirements Intransparent funds: Non-compliance with minimum reporting requirements

The German Investment Tax Act (2) 28th & 29th September German Tax Reporting for Hedge Funds Transparent funds Principle of transparency: Taxation of German investors holding fund units should be in principle the same as the taxation of a direct investment in the assets hold by the fund Intransparent funds German investors are subject to a punitive lump-sum taxation (at least 6 per cent of the last redemption price determined in the calendar year is assessed!) Therefore: German investors will only invest in Hedge Funds (of funds) directly if the fund provides for a specific German tax reporting to avoid the lump-sum taxation!

German Tax Reporting requirements (1) 28th & 29th September German Tax Reporting for Hedge Funds Year-end Tax Reporting / Tax Reporting of distributions (if any) Reconciliation of the fund’s financials with German tax law, e. g.: –Analysis of the fund’s trading strategy and assets from a German tax perspective –Reconciliation of the fund’s profit and loss statement Calculation of certain bases of taxation: –Deemed distribution income (= retained earnings; ausschüttungsgleiche Erträge) –Distributed income (ausgeschüttete Erträge; if any) –Further tax data (e. g. creditable withholding tax) Deemed distribution income: –Comprises of in particular: Dividends, interest and other income –Not comprises of e.g. realized capital gains made from derivative transactions (Termingeschäfte) and short selling (Leerverkäufe); these gains are only taxable at the level of German investors if distributed or in the case of the disposal or redemption of fund units! –In the case of Hedge Fund of Funds: Deemed distribution income of transparent or intransparent target funds have to be taken into account (and distributed earnings; if any)

German Tax Reporting requirements (2) 28th & 29th September German Tax Reporting for Hedge Funds Tax certificate, issued by e. g. a tax adviser or a certified auditor, is required by law confirming that the published tax data are in line with German tax law In case of reinvestment funds: Publication of the tax reporting and the tax certificate within four months following the end of the fund’s financial year on the website of the Electronic Federal Gazette (in practice: In addition, forwarding it to WM-Daten) Punitive lump-sum taxation also applies in the case of belated publications! No publication of e.g. the Hedge Fund’s financials or prospectus is required (in the case of private placement)

German Tax Reporting requirements (3) 28th & 29th September German Tax Reporting for Hedge Funds Ongoing tax reporting Calculation of the following tax data in principle on each valuation date Publication - together with the redemption price - in a German business paper or on the fund’s website (in the case of private placement) (in practice: In addition, forwarding it to WM-Daten) FunctionRelevance for Hedge Funds (of Funds) Accumulated Deemed Distribution Income ("ADDI", akkumulierte thesaurierte Erträge ) German custodian banks have to retain withholding tax upon disposals or redemptions of foreign und units. ADDI changes only once a year! Required by law to avoid the lump-sum taxation! Share Profit (and Real Estate Profit; Aktien- und Immobiliengewinn) Principle of transparency: Part of the gain on the disposal or redemption of fund units relating to shares held by the fund is (partially) tax free for German business investors! The option for the calculation of the share profit must be exercised within two months after having issued fund units to a German investor for the first time! Only of importance for Hedge Funds (of funds) investing in shares or target funds which publish share profits (otherwise: share profit amounts to nil). Interim Profit (Zwischengewinn) Taxation of in particular interest income in the case of disposals or redemptions of fund units during the fund’s financial year. Lump-sum taxation applies in case no interim profit is published; but: Exemption for foreign Hedge Funds (of funds) comparable with regard to their investment policy to German Hedge Funds (of funds)!

Summary 28th & 29th September German Tax Reporting for Hedge Funds German tax reporting requirements apply in principle to German and foreign Funds, i.e. also to Hedge Funds German investors are subject to a punitive lump-sum taxation, if the Hedge Fund does not comply with these tax reporting requirements Realized capital gains made from derivative transactions (Termingeschäfte) and short selling (Leerverkäufe) are only taxable at the level of German investors if distributed or in the case of the disposal or redemption of fund units! No calculation of the share profit is required in the case Hedge Funds (of funds) do not invest in shares or target funds which do not calculate a share profit No calculation of the interim profit is required, if foreign Hedge Funds (of funds) are, with regard to their investment policy, comparable to German Hedge Funds

28th & 29th September German Tax Reporting for Hedge Funds Frank Schmidt Tax Advisor and German Public Auditor. Managing Director of PVW GMBH in Frankfurt. Frank Schmidt is head of the Clifford Chance / PVW tax reporting team and specialises in particular in tax matters on behalf of foreign investment and real estate funds with regard to the compliance with the reporting requirements of the German Investment Tax Act including issuance of the required tax certificate. Mainzer Landstraße Frankfurt am Main Germany T F Frank Schmidt

Clifford Chance, PO Box , Frankfurt am Main, Mainzer Landstraße 46, Frankfurt am Main © Clifford Chance 2009 Clifford Chance Partnerschaftsgesellschaft von Rechtsanwälten, Wirtschaftsprüfern, Steuerberatern und Solicitors · Sitz: Frankfurt am Main · AG Frankfurt am Main PR 1000 GERMANY v1 German Tax Reporting for Hedge Funds