Firmengruendung.de / Thursday, February 21, 2019 / Categories: Current Posts No Property Acquisition Tax Due to Brexit With the inclusion of a tax exemption provision in the Real Estate Transfer Tax Act, it is ensured that the departure of the United Kingdom of Great Britain and Northern Ireland from the European Union does not lead to a real estate transfer tax burden when an English Limited company owns properties in Germany. To this end, § 4 of the Real Estate Transfer Tax is amended. A new number 6 is added, which reads as follows "6. Acquisitions solely based on the withdrawal of the United Kingdom of Great Britain and Northern Ireland from the European Union." Thus, Brexit becomes a special exception from real estate transfer taxation. Print 3217 Tags: § 4 Nr. 6 GrunderwerbsteuergesetzBrexitBrexit Steuerbegleitgesetz Related articles LTD shareholders as a company subject to VAT according to § 2 UStG Federal Council approves Brexit tax accompanying law. The new § 12 paragraph 4 of the Corporate Income Tax Act - tax protection for the Limited After Brexit, the tax situation for the LTD should remain the same - amendment proposals from the coalition factions. Section 12 (4) of the Corporation Tax Act last applicable for the fiscal year 2020