On 24 July 2025, the Luxembourg Government submitted Bill No. 8590 (the “Bill”) to the Chamber of Deputies, a long-awaited initiative aiming to modernize the personal tax regime for carried interest. The reform is positioned as a strategic move to reinforce Luxembourg’s role as a leading European hub for alternative asset management, offering fund professionals greater legal certainty, international alignment, and a more competitive tax environment. The Bill seeks to introduce a permanent and comprehensive framework that better aligns manager incentives with investor performance.
What does the project offer?
- A clear distinction between ordinary returns and “outperformance” returns.
- Replaces the enumeration of holding types with a broad, catch-all reference that encompasses all forms of holdings, including both corporate and partnership structures.
- Two personal income tax treatments, depending on whether the carried interest is contractual (granted without any capital contribution or equity stake), or investment-linked (tied to a direct or indirect ordinary participation in the AIF).