New guidance to register as “privileged” domestic or foreign investment fund under German investment taxation law

Published date13 September 2017
Law FirmDechert LLP
AuthorHans Stamm,Klaus D. Hahne,Dr. Joachim Kayser
Subject MatterCorporate Taxes,Dividends,Withholding Tax,Foreign Corporations,Partnerships,Investment Funds,Interest Income,Germany,Registration Requirement,AIFs,Domestic Corporations,German Investment Tax Act (GITA)

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