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 SchmeilzlOctober 14, 2020