German Ministry of Finance surprises with draft bill for biggest corporate tax reform since 2008

On 14 July 2023, the German Ministry of Finance (MoF) unexpectedly published a draft bill, referred to as "the Growth Opportunities Act," which would constitute the biggest corporate tax reform in Germany since 2008. The draft bill includes the already publicly discussed investment premium, increased research and development (R&D) allowance, changes for partnerships and an expansion of the deduction for tax-loss carryforwards. Moreover, the draft proposes changes to the interest deduction limitation and a reporting obligation for domestic tax arrangements.

Detailed discussion

Premium for climate protection investments

The premium for climate protection initially contemplated to be introduced for the years 2022 and 2023 is now to be introduced for the years 2024 to 2027. The premium is to be available for investments in new and existing depreciable movable fixed assets that are part of an energy-saving or energy-management system. The premium would amount to up to 15% of the investment, but would be capped at €30 million.

Increased R&D allowance

In case of the existing R&D allowance of 25% of the qualifying expenses, the maximum base is to be tripled to up to €12 million and extended to also cover the acquisition and production costs of depreciable movable fixed assets used in a qualifying R&D project, resulting in a maximum benefit of €3 million. In addition, the draft foresees increasing to 70% the portion of expenses for contract R&D that can be considered in the base of the allowance.

Tax loss deduction

Regarding the utilization of tax losses, the draft proposes several substantial changes:

Interest deduction limitation
Reporting obligation for domestic tax arrangements

A reporting obligation for national tax arrangements would be introduced and would closely follow the implemented mandatory disclosure regime for international tax arrangements.

Updated "check-the-box" elections for partnerships

The "check-the-box" election for partnerships to be taxed as corporations is to be adjusted to increase its attractiveness. The scope of the application would be extended to all partnership (currently only available to certain partnerships). In addition, the timing will be adjusted so that it would be possible to elect to be taxed as a corporation as of the foundation of a partnership (currently only permitted as of the first fiscal year after foundation).

Additional changes

In addition, the draft bill proposes amendments to several other rules, such as:

The draft is supposed to be discussed within the entire government in mid-August. On this basis, a legislative process could be completed by end of 2023.

For additional information with respect to this Alert, please contact the following:

Ernst & Young GmbH, Germany
Ernst & Young LLP (United States), German Tax Desk, New York

Published by NTD’s Tax Technical Knowledge Services group; Carolyn Wright, legal editor

For a full listing of contacts and email addresses, please click on the Tax News Update: Global Edition (GTNU) version of this Alert.