The Luxembourg Reserved Alternative Investment fund (RAIF) is a type of fund that invests in risk capital. It is open for well-informed investors only. It is attractive because it can be formed in a very short time. RAIFs enjoy neutral taxation.
Luxembourg Reserved Alternative Investment Fund
The RAIF is required to have minimum net assets amounting to EUR 1,250,000 which has to be fulfilled in twelve months from launch. It is supervised solely by an alternative investment fund manager.
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This information is not intended to be a substitute for specific individualized tax or legal advice. We suggest that you discuss your specific situation with a qualified tax or legal advisor.
Quick facts: Luxembourg Reserved Alternative Investment Fund (RAIF) — setup, governance, investors, investment scope, risk-spreading, AIFM, depositary, audit, and tax.
For asset managers, private equity, venture capital, real estate, infrastructure, private debt, and family offices. This material is for information only. It is not legal or tax advice.
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RAIF in one view
Legal basis | Law of 23 July 2016 on RAIFs, as amended. |
Investor base | Well-informed investors (institutional, professional, or other investors meeting knowledge confirmation and minimum investment rules). |
Supervision | No product-level authorization. The RAIF must be managed by an authorized AIFM. |
Forms | FCP (common fund) or investment company (SICAV/SICAF) under company forms such as SA, Sàrl, SCA, SCS, SCSp. |
Umbrella option | Yes. Multiple sub-funds with ring-fenced assets and liabilities. |
Minimum assets | EUR 1,250,000 within 12 months from launch. |
Investment scope | All asset classes under the general regime with risk-spreading, or a “risk capital” regime comparable to SICAR. |
Depositary | Depositary in Luxembourg. Possibility to appoint a professional depositary for assets other than financial instruments where eligible. |
Audit | Annual audited accounts within six months of period end. |
Key tax | General RAIF: tax neutral (subscription tax 0.01% NAV, possible exemptions). Risk-capital RAIF: subject to corporate taxes with exemptions on risk-capital income. |
EU marketing | AIFM marketing passport to professional investors in the EU/EEA. |
RAIF — legal and tax FAQs
1) Who may invest in a RAIF?
2) Is a RAIF authorized by the CSSF?
3) Which laws apply?
4) What legal forms are available?
5) Can a RAIF be set up as an umbrella?
6) What is the minimum asset threshold?
7) What is the investment scope under the general regime?
8) What is a “risk capital” RAIF?
9) How is a general-regime RAIF taxed?
10) Are there exemptions from the subscription tax?
11) Are distributions subject to withholding tax?
12) Does a RAIF benefit from tax treaties?
13) What are the VAT considerations?
14) Which documents are mandatory at launch?
15) Who must be appointed as AIFM?
16) What are the depositary rules?
17) Are audited accounts required?
18) How fast can a RAIF be launched?
19) What disclosures must the issuing document include?
20) How is risk-spreading assessed?
21) Can a RAIF list units or shares?
22) How are conflicts of interest handled?
23) What are the valuation rules?
24) Are side letters permitted?
25) What reporting applies to investors?
26) How is marketing conducted in the EU?
27) What substance is expected in Luxembourg?
28) Can the RAIF migrate or convert?
29) What is the typical timeline to reach EUR 1,250,000?
30) What legal notices are advisable to include?
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