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German Succession & Inheritance Law

German LawGerman ProbateGerman Succession & Inheritance Law

Cause of Death is Confidential Information in Germany

How to prove to an insurer that a decedent did not commit suicide As so many other things in Germany (e.g. land registry information), the question of how and from what a person has died, is considered strictly confidential and will not be disclosed to the public. Not even to the next of kin or the spouse! Therefore, in contrast to the UK and most states in the U.S., a German death certificate (Sterbeurkunde, see…
Bernhard Schmeilzl
June 14, 2022
German ProbateGerman Real Estate LawGerman Succession & Inheritance LawInternational Probate

How to obtain probate and administer an estate in Germany

Download your free guide to German probate and estate administration If an inheritance includes German assets or if the last will names a person resident in Germany, it is important to understand the different requirements and effects of UK and German inheritance law and probate proceedings. The basics of German succession laws and intestacy rules as well as German inheritance tax are explained in the brochure “German Probate”, which is available for download here. To…
Bernhard Schmeilzl
June 13, 2022
German ProbateGerman Succession & Inheritance LawInternational Probate

Bereavement in Germany: Information and Assistance

What to do if a relative dies in Germany When a relative dies abroad, the very different European probate procedures, foreign succession laws and the language barrier cause additional distress in already very difficult times. The law office Graf & Partners specialises in UK-German bereavement matters since 2003 and is ready to guide you through the legal, tax and practical problems of an international inheritance situation. EU Succession Regulation If the deceased had his/her "habitual…
Bernhard Schmeilzl
April 24, 2022
German ProbateGerman Succession & Inheritance LawInternational Probate

Typical Pitfalls of UK-German Probate Case

What English will and probate solicitors should know If an English testator owns assets in Germany, or if they decide to gift all or part or their estate to someone resident in Germany, a “standard” English will does not adequately cover all the client’s needs. Foreign IHT consequences, for example, are often completely ignored, as is the fact that German law does neither know the concept of “personal representative”, nor does it recognise trusts. Standard…
Bernhard Schmeilzl
April 5, 2022
Business in GermanyCivil actionGerman Corporate LawGerman Labor LawGerman LawGerman ProbateGerman Succession & Inheritance Law

Less Cricket. More Baseball!

GrafLegal creates US-German Legal Desk Too much cricket, not enough baseball! That's essentially what our marketing people told us after finding that 65% of all posts on our various law blogs deal with UK-German legal issues, only 35% with USA related topics. We may just have gone a bit too much Downton Abbey on everyone. Enough of that, let's balance the scales! The German law firm for US-German legal matters To start off our US…
Bernhard Schmeilzl
March 29, 2022
European ProbateGerman ProbateGerman Succession & Inheritance LawGoing to court

How to Dissolve a German Community of Heirs

What to do if co-heirs in Germany cannot agree on how to distribute the estate Under German law, as well as in most other EU jurisdictions, there is no personal representative (executor or administratror) who takes possession of and deals with the estate. Instead, the "heir" (Erbe) is the immediate and direct successor of the deceased. This principle of automatic and direct succession is called "unmittelbare Gesamtrechtsnachfolge". This is all swell if there is only…
Bernhard Schmeilzl
April 13, 2021
German LawGerman ProbateGerman Succession & Inheritance LawLitigation in Germany

The German Elective Share

Children and surviving Spouse cannot be entirely disinherited under German Law Germany, like many other European countries (e.g. France, Spain, Austria etc), has mandatory succession laws to stop a person from leaving their spouse and/or their children penniless. These "forced heirship" laws in most European countries reflect public policy that a testator shall not be allowed to leave these close family members (spouse and offspring) destitute by making little or no provision for them in…
Bernhard Schmeilzl
December 23, 2020
Conveyancing GermanyGerman ProbateGerman Succession & Inheritance Law

German Experts in Estate Administration

We Deal With International Estate & Probate Matters Since 2003 Estate administration is what we specialise in. Our probate lawyers and inheritance tax specialists have the expertise to advise on all bereavement related issues with regard to the jurisdictions Germany, Austria, Switzerland and England & Wales. We know how to handle intestacy and how to interpret wills in foreign languages. We are able to deal with foreign shares and obtain Grants of Probate in the…
Bernhard Schmeilzl
November 17, 2020
German ProbateGerman Succession & Inheritance LawInternational ProbateWills and Succession Planning

Sell Your Share in a German Estate — Even Before Probate

Renouncing the Inheritance Against Fair Financial Compensation If you have inherited in Germany but are not the only beneficiary, you may get tied up in the administration of such a German estate for years, because under German succession law, there is no personal representative (i.e. executor or administrator). Instead, the co-heirs (Miterben) deal with the estate themselves. Such a community of beneficiaries is called "Erbengemeinschaft". The practical problem: They have to work together and most…
Bernhard Schmeilzl
October 28, 2020
German ProbateGerman Succession & Inheritance LawInternational Probate

International Inheritance — Is Cherry Picking Permitted?

Can you accept an inheritance in one country and renounce the inheritance in another? To a continental European Estate lawyer, the above question sounds absurd, because the traditional approach of German and French succession law has always been that a deceased person (decedent) leaves behind one single global estate (holistic approach, in German referred to as "Prinzip der Nachlasseinheit"). Therefore, even if the decedent has owned property in various countries around the globe, a German…
Bernhard Schmeilzl
October 14, 2020