Why Every Property Owner in Portugal Needs a Portuguese Will

This is not alarmist advice — it is something every bilingual succession lawyer in Portugal tells their clients. Portuguese succession law contains forced heirship provisions that can override the apparent meaning of a foreign will when Portuguese assets are involved. The solution is straightforward: a Portuguese will, properly drafted, that either conforms to or explicitly elects law that achieves your intentions.

We are not lawyers — we connect you with trusted bilingual succession lawyers from our professional network, coordinate the consultation and appointment process, and ensure nothing falls through the gaps between legal advice and practical administration.

Understanding Portuguese Succession Law

Forced heirship (legítima)

Portuguese law reserves a minimum share of any estate — the legítima — for certain close relatives (spouse, children, parents). This share cannot be distributed freely even if a will says otherwise, unless the will correctly invokes the exception mechanisms available under EU law. For a spouse and one child, the reserved share is typically two thirds of the estate.

EU Regulation 650/2012 — your most important tool

If you are a national of an EU member state (or in some cases a non-EU national), EU Regulation 650/2012 allows you to elect the succession law of your nationality to govern your entire estate across the EU. This means a German, Irish, French or other EU national resident in Portugal can elect their home country's law — potentially avoiding Portuguese forced heirship entirely. This election must be explicitly stated in a valid will. We ensure your succession lawyer explains this to you and incorporates it correctly.

Note for UK and US nationals: As non-EU nationals, UK and US citizens cannot elect their home country's law under EU Regulation 650/2012 in the same straightforward way. There are other mechanisms available — your bilingual succession lawyer will advise on the most appropriate structure for your situation.

Multiple wills — Portugal and your home country

Having a Portuguese will does not invalidate your home country will. Most succession lawyers recommend a Portuguese will specifically addressing Portuguese assets and a home country will for assets there. The key is ensuring the two documents do not conflict. We coordinate this review as part of the consultation process.

How We Help

1
Introduction to bilingual succession lawyer
We connect you with a trusted bilingual succession lawyer from our professional network who specialises in expat succession matters and Portuguese property law.
2
Succession planning consultation
The lawyer advises on your specific situation — your assets, your family structure, your nationality — and explains the options under Portuguese and EU law.
3
Will drafting
The lawyer drafts a Portuguese will that reflects your wishes and is legally robust under both Portuguese law and relevant EU regulations. We coordinate translation of any supporting documents.
4
Notary appointment and signing
The will is signed at a Portuguese notary in a formal appointment. Carlos can accompany you to translate and explain the process if needed.