What tax changes will the real estate industry face? This article gives you an overview of the changes and options for action at the end of the year.
The tax plans of the new federal government
On 9 April 2025, the new government partners presented their coalition agreement. It is entitled “Responsibility for Germany”. The aim of the coalition is to promote a competitive, growing economy and at the same time strengthen social cohesion. Accordingly, the agreement contains measures for almost all sectors – including the real estate industry. The most important tax points for the industry are:
| Area | Planned measures |
| Corporate taxes |
|
| Taxation of natural persons |
|
| Other |
|
Table 1 – Selected tax-relevant contents of the coalition agreement
The changes to capital-based taxes discussed during the election campaign and in the exploratory talks – such as the introduction of a wealth tax or adjustments to inheritance and gift tax – have not found their way into the coalition agreement.
Immediate Tax Investment Programme
The new government quickly followed up its words with deeds and presented the draft of an Immediate Tax Investment Programme on 4 June 2025. The first tax legislative procedure of this legislative period was concluded with the promulgation in the Federal Law Gazette on 18 July 2025. The following contents are particularly relevant for the real estate industry:
| Law | Measures |
| Act for an immediate tax investment programme to strengthen Germany as a business location |
|
Table 2 – Main contents of the Immediate Tax Investment Programme
Economic Development Act
Since 10 September 2025, the draft of a law to promote private investment and the financial location (“Economic Development Act”) has been available. It is based on the Future Financing Act and is intended to strengthen the competitiveness and attractiveness of Germany as a financial centre and to enable more investments in infrastructure and renewable energies. The tax measures that are particularly relevant for the real estate industry are:
| Law | Planned measures |
| Increase in the maximum amount for the transfer of hidden reserves |
|
| Investment Tax Act | Planned measures |
| Harmless active entrepreneurial management |
|
| Income earned through partnerships |
|
| Exemption from trade tax liability |
|
| Changes to special investment funds |
|
Table 3 – Overview of selected tax measures under the Economic Development Act
Irrespective of the tax relief, the definition of investment fund pursuant to Section 1 paragraph 1 Capital Investment Act remains the relevant limit for investment funds. According to this, funds are not allowed to carry out any operational activities outside the financial sector. For example, they still cannot operate a hotel themselves but only rent it out.
Tax Amendment Act 2025
On 4 December 2025, the Tax Amendment Act 2025 was passed by the Federal Parliament. The act takes up several tax policy points from the coalition agreement, which are intended to relieve citizens and increase spatial flexibility. However, only a few measures are relevant for the real estate industry:
| Law | Measures |
| Tax Amendment Act 2025 |
|
Table 4 – Key contents of the Tax Amendment Act 2025
Future court decisions
Future tax changes can be triggered not only by legal changes, but also by court decisions. Two proceedings on the interest barrier and real estate transfer tax are particularly noteworthy:
| Court case | Explanation |
| Unconstitutionality of the interest barrier |
|
| EU incompatibility of real estate transfer tax in restructuring |
|
Table 5 – Significant pending court cases
Need for tax action at the turn of the year
Regardless of changes in legislation and case law, taxpayers need to take action at the turn of the year. The following table shows some selected examples:
| Tax action | Explanation |
| Capital repayments | Capital repayments by foreign corporations can be treated as repayments of equity rather than taxable dividends upon request. The application deadline for capital repayments made in 2024 expires on 31 December 2025 (if financial year = calendar year). |
| Increase in loss deduction for limited partners | Equity increase of a limited partnership before the end of the year in order to be able to take advantage of tax losses that exceed the equity. |
| Extended trade tax deduction | The conditions for the extended trade tax deduction must be met throughout the year. It should be examined whether the conditions are met from 1 January 2026 or whether measures are necessary before the end of the year. |
| Formation of tax-free reserves | Capital gains can be neutralised by tax-free reserves in accordance with Section 6b of the Income Tax Act. |
| Country-by-Country Reporting | The deadline for submitting reports in accordance with Section 138a General Fiscal Code expires on 31 December 2025 (if financial year = calendar year). |
Table 6 – Tax options and deadlines at the turn of the year
If you would like to read more about this, the Key Tax Issues at Year End for Real Estate Investors provide an overview of tax actions and deadlines at the turn of the year in Germany and in more than 30 other countries worldwide. The 2025/2026 edition can be found under www.pwc.com/KTI.
Tailwind for the real estate industry: lower corporate tax rates, accelerated tax depreciation and new investment opportunities open up investment leeway.