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German Erbschein

German ProbateGerman Succession & Inheritance Law

Executors and Trustees in German Inheritance Law

How estates are administered in Germany There exist, as we have explained here, fundamental differences between the inheritance law concepts of the UK and Germany. Since UK probate law requires a personal representative, many testators in the UK appoint an executor in their will. In Germany, however, where a "personal representative" is unknown due to the principle of universal succession, the inheritors come into ownership as well as into possession of the estate automatically and…
German ProbateGerman Succession & Inheritance Law

When a deceased UK Citizen owned Assets in Germany

How to get access to an Estate under German Inheritance Law When a UK citizen dies while having possessions in Germany (bank accounts, deposits, shares, insurance claims or property), one must first determine whether the estate is governed by German hereditary law and thus falls into the competence of German probate courts: Basically, both from a UK and a German legal perspective this depends on where the deceased was domiciled, i.e. the place where a…
Austrian Inheritance LawAustrian ProbateEuropean ProbateGerman LawGerman ProbateGerman Succession & Inheritance Law

Basics of German Inheritance Law (German Probate)

German Succession Rules and Probate Proceedings explained German inheritance law as well as German probate rules differ very much both from UK law as well as USA probate. Under German statutory law, there are many formal requirements which must be followed. A good source for initial informationis about the law of succession in Germany (or any other European country for that matter) is the official EU website "Successions in Europe". It answers a few basic questions…
Bernhard Schmeilzl
October 10, 2012