Tax - The One Pager
Loan Agreements: German Federal Tax Court give guidelines on documentation of outbound loans
September 28, 2026
Tax - The One PagerLoan Agreements: German Federal Tax Court give guidelines on documentation of outbound loansSeptember 28, 2026 International tax / transfer pricing (“TP”) / group financingIn its decision I R 29/22 of 6 May 2026, the German Federal Tax Court (“FTC”) clarified key requirements for TP documentation of intercompany loans. The ruling reinforces Chapter X of the OECD TP Guidelines 2022, emphasizing the ex-ante perspective for the arm’s length test, the obligation to assess security arrangements under the applicable foreign law, and the possibility of risk compensation through higher interest rates. The case A German parent company (30% shareholding) granted a loan and several top-up loans (Nachschussdarlehen) to a Ukrainian subsidiary for hotel construction. The interest rates were around 12% p.a. and no valuable securities such as a land lien were granted. Under Ukrainian law, it is not unusual to not receive valuable securities for loans relating to the real estate sector as the developer does not become the owner of the property until it is inspected by the authorities. Usually, as a security claims from contracts with third parties are assigned. The principal as well as any interest thereon was written off. View of the tax authorities The tax authorities and the lower tax court took the view that the loan agreement did not meet the arm’s length principle as no security was granted by the Ukrainian subsidiary and the Ukrainian subsidiary did not pay any interest (ex-post). Therefore, the write-off of the principal as well as the interest thereon by the German parent company was not recognized for tax purposes. The profit of the German parent company was increased under the regime of the German Foreign Tax Act (AStG). Ruling The FTC held that even if no security has been granted, the loan agreement may meet the arm’s length principle. The tax authorities and the lower tax court failed to determine whether such security is customary under foreign law. Furthermore, a missing security may be compensated by a higher interest rate (risk compensation). The non-payment of interest is also no reasoning for non-compliance with the arm’s length principle as a loan agreement must always be analysed for tax purposes at the time it was agreed (ex-ante perspective, Sec. 1 (3) sentence 4 AStG). Furthermore, it was stated that the protection of an initial investment may be considered as an economic reason for a top-up loan and even a third party may grant a loan to protect such investment. As a result, the case was referred back to the lower tax court for a new ruling. Key take-aways German outbound loan agreements should be well documented for transfer pricing purposes in accordance with Chapter X of the OECD TP Guidelines 2022 and the German Administrative Guidelines. Such documentation should be made at the time of the loan agreement (ex-ante) and should include:
Latest InsightsLatest News
Latest Events
legal updates September 28, 2026 The Race for Power - Meeting the global energy demands of AI data centres legal updates September 28, 2026 Snapshot Update: EU Pay Transparency Directive legal updates September 28, 2026 UK imposes a new wave of sanctions against Iran legal updates September 28, 2026 EU Transparent and Predictable Working Conditions Directive client news September 21, 2026 All change: Eversheds Sutherland advises DfT on Chiltern Railways transitio... firm news August 26, 2026 Eversheds Sutherland strengthens top-ranked pensions practice with appointm... firm news August 19, 2026 Balancing risk and security: Eversheds Sutherland advises the Trustee of th... client news August 13, 2026 Eversheds Sutherland advises H.I.G. Capital on investment in Phoenix ME virtual Employment law in the Kingdom of Saudi Arabia September 29, 2026 9.30am - 12.30pm (BST) Virtual virtual Education Webinar - Student group claims – the landscape for Universities p... September 30, 2026 11:00AM - 12:00PM virtual Education Webinar - UK GDPR update for HR professionals October 01, 2026 11:00AM - 12:00PM virtual Student Sponsor Compliance Visits: Are You Prepared? October 06, 2026 11:00AM - 12:00PM |