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Discover thought leadership and legal insights by our legal experts from across CMS. In our Expert Guides, written by CMS lawyers from across the jurisdictions where we operate, we provide you with in-depth legal research and insights that can be read both online and offline. You can also find Law-Now articles, newsletter and other publications with focused legal analysis, commentary and insights to help you anticipate future challenges and much more.



Expertise
25/03/2024
Update Arbeitsrecht April 2024
In unserer Employment Week im Frühjahr haben wir uns mit dem Thema "Re­struk­tur­i­er­ung innerhalb und außerhalb der Insolvenz erfolgreich gestalten" beschäftigt und uns sehr über das große Interesse...
22/07/2022
Advancing digitalisation in corporate law
The German Act Implementing the Digitalisation Directive (2019/1151/EU) dated 5 July 2021 (DiRUG) enables both the "GmbH" (German limited liability company) and its "little sister" the "UG (haf­tungs­bes­chränkt)"...
22/03/2022
FAQ – Claims of parents where childcare is required as a result of the...
Please note that the legal situation with regard to the Corona pandemic is subject to constant change. Therefore the following information only reflects the above-mentioned status. Thus it is urgently...
03/03/2022
FAQ on short-time work (Kurzarbeit)
Please note that the legal situation with regard to the Corona pandemic is subject to constant change. Therefore the following information only reflects the above-mentioned status. Thus it is urgently...
07/12/2021
Spotlight on Sustainability II December 2021 - Consumer Products Newsletter
Welcome to the December 2021 edition of the CMS Consumer Products Newsletter!
12/08/2021
CMS Global Fintech Update - August 2021
Below you will find topics of August 2021 news­let­ter:Fintech in Bel­gi­umFintech in RomaniaFintech in SpainFintech in South AfricaFintech in Switzer­land­Fintech in UkraineFintech in United Kingdom 
05/08/2021
CMS Global Fintech Update
The legal framework in the fintech industry is changing very quickly and sometimes varies greatly from jurisdiction to jurisdiction. Our global update, will give you an overview of the latest changes and topics we have been dealing with in Europe, Africa and Latin America region. This will give you an at a glance summary of a number of articles that we have produced on a local basis. For a more in-depth analysis or for any questions, please reach out to your usual CMS contact or listed in this update Fintech experts.
29/07/2021
All entities required to register – TraFinG enters into force on 1 August...
The Transparency Register and Financial Information Act (TraFinG) entered into force on 1 August 2021. Its aim is to make further progress on combating money laundering and terrorist financing and, in addition to delivering greater transparency into legal entities and their beneficial owners, to create the basis for linking all the relevant registers throughout Europe. In particular, the TraFinG does away with the notional notifications that previously applied to listed companies and all legal entities for which information on the (notional) beneficial owners could be obtained from the commercial register, partnership register, cooperative society register, register of associations or company register. Specifically, this means that in future all these corporate bodies will also have to report their beneficial owners separately to the transparency register, even if the beneficial owners are already evident from the commercial register or other re­gisters. Spe­cial regulations only apply to registered associations (eingetragene Vereine). There are no changes with regard to foundations (Stiftungen), for which no notional registration has been possible anyway. When the Act to Modernise Partnership Law (MoPeG) comes into effect on 1 January 2024, companies under civil law (GbR) will likewise be subject to the requirement to be registered in the transparency register, if they choose to be entered in the company register. In addition, the cases in which foreign purchasers of German real estate must report information on their beneficial owners to the German transparency register have been considerably extended. Transition periods Transition periods that depend on the specific legal form apply to associations which still benefit from notional notification under section 20 (2) of the GwG on 31 July 2021. Registration in these cases must be submitted to the transparency register forAG, SE and KGaA by 31 March 2022,GmbH, eG, SCE, PartG by 30 June 2022,All other associations subject to transparency requirements (including OHG and KG) by 31 December 2022. In these cases, failure to register will also not be considered an administrative offence for one year after expiry of the applicable transition period. Companies that previously wrongly assumed notional notification in accordance with section 20 (2) of the GwG, or did not register their beneficial owners for other reasons, do not benefit from the transitional arrangements and are required to register as usual without delay. Transactions involving real estate located in Germany Foreign as­so­ci­ations/trusts that have not already submitted information on their beneficial owners to another register operated by an EU Member State will in future be obliged to report this information to the German transparency register if they acquire a property located in Germany, in the following cases:Ac­quis­i­tion by way of an asset deal,Acquisition by way of a share deal within the scope of section 1 (3) of the GrEStG, i.e. at least 90% of the shares in a company that owns a German property are merged by the foreign association or are transferred to it,Legal transaction within the meaning of section 1 (3) a of the GrEStG, i.e. the legal transaction results in the foreign association holding an ownership interest of at least 90% in a company that owns a German property. In this context, it should be noted that notaries are prohibited from notarising transactions of this type if the foreign association has not complied with its notification obligation (section 10 (9) sentence 4 of the GwG). There are no transition periods in this respect. Action needed Action is required for all new entities established or registered from 1 August 2021 onward. The information on beneficial owners must be reported to the transparency register without delay; the transition periods do not apply to newly established entities. In general, the amendment to the law provides an opportunity to submit missing reports; registrations that have already been submitted should be reviewed for accuracy and to see whether further information is required (e.g. additional nationalities). If notional notification still applies on 31 July 2021, the transition period should be used to prepare for registration in the transparency register. Registered as­so­ci­ations (ein­getra­gene Vereine) should review the automatic entries in the transparency register with regard to their accuracy. In addition, associations subject to transparency requirements must in future check and, if necessary, update their registration in the transparency register if there are any changes involving their (notional) beneficial owners (for example, change of shareholders or man­age­ment). Lastly, in the case of transactions with foreign purchasers, it is important to check in good time whether this involves a property located in Germany, with the result that the relevant information would need to be registered in the transparency register. Given that notaries are prohibited from notarising transactions if the relevant information is not registered, this point should also be clarified with the notary in advance. We would be happy to assist you in identifying beneficial owners and registering the relevant information with the transparency register. Please feel free to get in touch at any time.
14/06/2021
State aid options for undertakings during the coronavirus crisis in Germany...
During the coronavirus crisis, State aid is a way for undertakings to obtain liquidity. State aid can be granted by all public sector bodies, including local authorities. Individual grants of State aid...
12/05/2021
CMS Global Fintech Update - May 2021
Below you will find the topics of the May 2021 news­let­ter:Fintech in ChileFintech in Ger­many­Fintech in ItalyFintech in Lux­em­bourgFintech in Neth­er­landsFintech in Slov­e­ni­aFintech in SpainFintech in South AfricaFintech in Switzer­land­Fintech in United Kingdom 
12/05/2021
Spotlight on Sustainability I May 2021 - Consumer Products Newsletter
Welcome to May 2021 edition of the CMS Consumer Products Newsletter!
26/04/2021
COVID-19: Occupational health and safety requirements for the workplace
Please note that the legal situation with regard to the Corona pandemic is subject to constant change. Therefore the following information only reflects the above-mentioned status. Thus it is urgently...