Inheritance law Corsica

Applicable inheritance law in Franco-German inheritance cases

Find out about the main questions and problems of inheritance law in Corsica. Questions of jurisdiction are explained.

Everything you need to know about inheritance law in Corsica

French inheritance law or German inheritance law – which law applies to an inheritance case with links to Corsica?

 

Applicability of the EU Succession Regulation

For inheritance cases from 17.08.2015, German and French courts determine the applicable inheritance law according to the European Succession Regulation (EuErbVO).

The EU Succession Regulation only applies to succession by reason of death. It therefore does not apply to German or French inheritance tax. Also excluded from the scope of application is the registration of rights to movable or immovable property (real estate) in a register, including the legal requirements for such registration.

 

Applicable inheritance law – principle

As a rule, the last habitual residence of the deceased is decisive. In principle, habitual residence is determined by where the deceased had their family and social center of life at the time of their death.

The mere fact that a person is registered as a resident in France can at best be an indication of habitual residence.

For a change in habitual residence, it is therefore not necessary that the deceased had the intention to remain in the place or to reside there permanently; nor is a minimum period required for the establishment of a new habitual residence.

Likewise, habitual residence does not automatically change if the deceased moved to another country to work for professional or economic reasons – possibly even for a longer period of time.

Ultimately, however, it always depends on a consideration of all the circumstances of the individual case.

 

Special rules for real estate in France

Under certain circumstances, special regulations in the law of a country in which certain immovable property is located apply to succession by reason of death. France has no such regulation.

 

Choice of law and fiction of choice of law

The testator is free to choose the law of the country in which he or she drew up his or her will or in which he or she resided at the time of death as the law applicable to the succession upon death.

If a will was drawn up before August 17, 2015 “in accordance with the law” that the testator could have chosen, this law is deemed to be the law applicable to the succession upon death.

Att. Sascha Jung
Your specialist for inheritance law

Tel.: +49 (0)179 / 1198 762

Settling an estate in Corsica can be complex and demanding. There are a number of legal and administrative hurdles that need to be overcome. We can help you further.

Overview Topics Corsica

Your specialist for inheritance law

Erfahrungen & Bewertungen zu Dr. Lang & Kollegen

Dr. Stephan Lang

Att. Sascha Jung

  • Attorney at Law
  • Specialist lawyer for banking and capital market law
  • Completed banking training
  • Member of the Franco-German Lawyers' Association
  • Cooperation partner of the law firm
  • Office location: Greater Berlin area
  • Area: Corsica
  • Tel.: +49 (0)179 / 1198 762

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