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22 Income Taxes

Accounting Policies

Income taxes for the current and prior fiscal years are recognized as current income tax liabilities to the extent that they have not yet been paid. The current tax expense is determined on the basis of the taxable income for the fiscal year.

Deferred tax assets and liabilities are recognized using the liability method under the temporary concept, providing for all temporary differences arising between the tax bases of assets and liabilities and their carrying amounts in the consolidated financial statements. Deferred tax assets are only recognized for temporary differences and on loss carryforwards to the extent that there are deferred tax liabilities that can be netted against them – regarding deferred tax assets on loss carryforwards taking the minimum taxation into account – or, based on the predictable profits in the foreseeable future, it can be verified that they will be realized.

Deferred tax assets and liabilities are not recognized where the temporary difference arises from initial recognition of goodwill in connection with a business combination or the initial recognition (other than a business combination) of other assets and liabilities in a transaction that neither affects taxable income nor net income.

The carrying amount of a deferred tax asset is reviewed at each reporting date. If necessary, the carrying amount of the deferred tax asset is reduced to the extent that it is no longer offset by deferred tax liabilities that can be netted against it or that it is no longer probable that sufficient taxable profit will be available in the future.

Deferred taxes are measured at the tax rates that apply, or are expected to apply, to the period when the tax asset is realized or the liability is settled based on the current legislation in the countries in question. As in 2022, the combined tax rate of corporate income tax and trade tax of 33.1% was used to calculate domestic deferred taxes for 2023. The corporate income tax rate for the companies based in Austria is 23.0% based on the expectation announced for 2024, while the rate for companies based in Sweden is 20.6%.

Deferred tax assets and liabilities are netted against each other only if Vonovia has a legally enforceable right to set off the recognized amounts, when the same tax authority is involved and when the realization period is the same. In accordance with the regulations of IAS 12 “Income Taxes,” deferred tax assets and liabilities are not discounted.

Income Taxes

in € million

2022 (adjusted)

2023

Current income tax

191.0

228.8

Prior-year current income tax

-12.1

16.6

Deferred tax − temporary differences

-285.2

-2,959.3

Deferred tax − unutilized loss carryforwards

76.5

136.8

-29.8

-2,577.1

For the 2023 fiscal year, the combined tax rate of corporate income tax and solidarity surcharge for domestic companies is 15.8% (2022: 15.8%). Including trade tax at a rate of about 17.3% (2022: 17.3%), the combined domestic tax rate is 33.1% in 2023 (2022:33.1%). The corporate income tax rate for the companies based in Austria is 24.0% (2022: 25.0%), while the rate for the companies in Sweden comes to 20.6% (2022: 20.6%). The income generated by Vonovia Finance B.V. is subject to Dutch tax law; current taxes of € 1.4 million (2022: € 2.4 million) were incurred there. The other companies that hold properties and are based in the Netherlands have limited corporation tax liability in Germany. These companies, together with the other foreign companies, pay tax that is of a negligible amount from the Group’s perspective in the countries in which they are domiciled.

For deductible temporary differences (excl. loss carryforwards) in the amount of € 90.9 million (December 31, 2022: € 88.2 million), no deferred corporate income taxes or deferred trade taxes were recognized, because they are not likely to be used in the future.

As of December 31, 2023, there were corporate income tax loss carryforwards amounting to € 4,290.2 million (December 31, 2022: € 4,549.9 million), as well as trade tax loss carryforwards amounting to € 2,548.3 million (December 31, 2022: € 2,850.2 million), for which deferred tax assets have been recognized to the extent that their realization is sufficiently probable. As of December 31, 2023, there were corporate income tax loss carryforwards abroad amounting to € 348.1 million (December 31, 2022: € 435.6 million), as well as trade tax loss carryforwards amounting to € 14.4 million (2022: € 15.3 million), for which deferred tax assets have been recognized to the extent that their realization is sufficiently probable. The drop in tax loss carryforwards resulted from current tax gains at individual companies and the associated utilization of the loss carryforwards.

No deferred taxes were recognized in the balance sheet for domestic and foreign corporate income tax loss carryforwards amounting to € 1,461.5 million (December 31, 2022: € 1,342.7 million). Of this amount, € 25.9 million arose for the first time in the 2023 fiscal year (2022: € 23.4 million). Under current tax law, these loss carryforwards are not subject to restrictions either with regard to time or the amount of the loss carryforward. The fact that no deferred tax assets were recognized on the new corporate income tax loss carryforwards results in a tax effect of € 4.2 million (2022: € 3.7 million). In addition, there are further trade tax loss carryforwards subject to no restrictions with regard to how they can be carried forward in the amount of € 728.5 million in total (December 31, 2022: € 624.4 million). These did not give rise to any deferred tax assets. Of this amount, € 21.2 million arose for the first time in the 2023 fiscal year (2022: € 22.2 million) and the resulting tax effect is € 3.5 million (2022: € 3.7 million).

The remeasurement of deferred tax assets on temporary differences and loss carryforwards from the previous year led to tax expense amounting to € 31.6 million in the 2023 fiscal year (2022: income of € 8.2 million). The increase is mainly due to the remeasurement of the tax loss carryforward of a company that was included in a tax group for income tax purposes in 2023.

Deferred taxes on interest carryforwards are recognized if the interest carryforward is likely to be able to be used in the future. Due to the Group’s capital structure, no interest carryforwards are likely to be able to be used in the future. As a result, no deferred tax assets have been recognized on domestic interest carryforwards in the amount of € 1,598.0 million (December 31, 2022: € 1,340.7 million). € 257.3 million of this amount arose for the first time in the reporting year (2022: € 223.9 million). The fact that no deferred tax assets were recognized on the new interest carryforward generated a tax effect of € 87.6 million in Germany (2022: € 71.4 million). Sweden has had a regulation similar to the German interest threshold since 2019. As a result, no deferred tax assets have been recognized on interest carryforwards in the amount of € 162.3 million in Sweden (2022: € 144.7 million). Of this amount, € 33.0 million (2022: € 32.7 million) arose for the first time in the reporting year. The fact that no deferred taxes were recognized generated a tax effect of € 6.8 million in Sweden (2022: € 6.7 million).

A reconciliation between disclosed effective income taxes and expected tax expense, which is the product of the accounting profit for the period multiplied by the average tax rate applicable in Germany, is shown in the table below.

Reconciliation between actual income taxes and expected tax expense

in € million

2022

2023

Earnings before tax

-604.6

-9,185.2

Income tax rate in %

33.1

33.1

Expected tax expense

-200.1

-3,044.9

Trade tax effects

-1.6

170.8

Non-deductible operating expenses

149.6

236.5

Tax-free income

-42.4

-171.9

Change in the deferred tax assets on loss
carryforwards and temporary differences

-8.2

31.6

New loss and interest carryforwards not recognized and utilization of interest carryforwards

22.3

102.1

Prior-year income tax and taxes on guaranteed
dividends

-224.6

-20.2

Tax effect from goodwill impairment

316.3

45.9

Differing foreign tax rates

-38.4

89.3

Other tax effects (net)

-2.7

-16.3

Effective income taxes

-29.8

-2,577.1

Effective income tax rate in %

4.9

28.1

The deferred taxes refer to temporary differences in balance sheet items and unutilized loss carryforwards as follows:

Deferred tax assets

in € million

Dec. 31, 2022

Dec. 31, 2023

Intangible assets

6.2

10.7

Investment properties

75.7

76.0

Inventories

142.0

116.3

Assets held for sale

0.0

5.9

Property, plant and equipment

42.3

8.3

Financial assets

6.0

2.5

Other assets

55.3

156.8

Provisions for pensions

65.4

64.3

Other provisions

45.3

55.0

Liabilities

242.4

268.1

Loss carryforwards

1,042.9

906.3

Deferred tax assets

1,723.5

1,670.2

Deferred tax liabilities

in € million

Dec. 31, 2022

Dec. 31, 2023

Intangible assets

32.8

10.6

Investment properties

19,795.5

16,817.3

Inventories

61.1

136.5

Assets held for sale

34.9

58.3

Property, plant and equipment

48.1

9.1

Financial assets

5.1

54.5

Other assets

188.4

135.2

Provisions for pensions

2.9

0.5

Other provisions

78.0

15.4

Liabilities

49.5

59.6

Deferred tax liabilities

20,296.3

17,297.0

Excess deferred tax liabilities

18,572.8

15,626.8

Deferred tax assets and liabilities are netted against each other when the same company and the same tax authority are involved and the realization period is the same. As a result, the following deferred tax assets and liabilities are stated:

Deferred tax assets and liabilities

in € million

Dec. 31, 2022

Dec. 31, 2023

Deferred tax assets

39.6

86.4

Deferred tax liabilities

18,612.4

15,713.2

Excess deferred tax liabilities

18,572.8

15,626.8

The drop in deferred tax liabilities can be attributed primarily to investment properties.

The change in deferred taxes is as follows:

Change in deferred taxes

in € million

2022

2023

Excess deferred tax liabilities as of Jan. 1

18,674.1

18,572.8

Deferred tax expense in income statement

-208.7

-2,822.5

Deferred tax due to first-time consolidation and deconsolidation

156.5

0.2

Change in deferred taxes recognized in other comprehensive income due to equity instruments measured at fair value

-0.6

-0.8

Change in deferred taxes recognized in other comprehensive income on actuarial gains and losses from pensions and similar obligations

52.2

-10.6

Change in deferred taxes recognized in other comprehensive income on derivative financial instruments

19.8

-31.5

Balance sheet reclassification to assets and liabilities held for sale with regard to discontinued operations

-23.2

Deferred taxes recognized in the capital reserve on capital procurement costs of capital increases

0.1

-0.3

Currency translation differences

-77.1

-6.3

Reclassification to result from discontinued operations

-44.1

-51.3

Other

0.6

0.3

Excess deferred tax liabilities as of Dec. 31

18,572.8

15,626.8

No deferred tax liabilities are recognized for profits accumulated at subsidiaries of € 50,966.9 million (December 31, 2022: € 57,216.9 million), as these profits are to remain invested for an indefinite period or are not subject to taxation. In the event of distribution or disposal of the subsidiaries, 5% of the distributed amounts or the capital gains would be subject to German taxation so that there would normally be an additional tax obligation.

The BEPS (Base Erosion and Profit Shifting) Pillar 2 regulations (Minimum Tax Directive Implementation Act (MinBestRL-UmsG)) had already been transposed into German law (German Minimum Tax Act (MinStG)) by the balance sheet date, but had not yet entered into force. The Group falls within the scope of these regulations.

Vonovia carried out an initial indicative analysis as of the reporting date to identify the general impact of the legislation and the jurisdictions from which the Group is exposed to potential effects in connection with a Pillar 2 top-up tax.

The first step involved checking whether the CbCR (Country-by-Country Reporting) safe harbor regulations were relevant. If a country was not exempt from the Pillar 2 calculation based on a review of the safe harbor regulations, the effective tax rate was calculated on a simplified basis.

This initial indicative analysis did not identify any countries in connection with which Vonovia would be affected by a Pillar 2 top-up tax. As a result, Vonovia currently assumes that the Pillar 2 top-up tax does not apply. This means that the average effective Group tax rate would not have changed had the Pillar 2 legislation already been in force on the balance sheet date.

The Group monitors progress made in the legislative process in every country in which Vonovia operates.

Vonovia applies the exception provided for in IAS 12, based on which no deferred tax assets or liabilities are recognized in connection with OECD Pillar 2 income taxes and no disclosures are made in this regard either.