Are Foreign Wills Valid for Assets in Portugal?
Description
When international families own property or other assets in Portugal, one critical question often arises: Will a foreign will be recognised under Portuguese law? In this episode, we clarify how Portugal treats foreign willsāand why careful estate planning is essential to avoid unintended outcomes.
š In This Episode, Youāll Learn:
1ļøā£ What Types of Wills Portuguese Law Recognises
Portuguese law formally recognises public wills and closed wills, each with specific formal requirements.
2ļøā£ Are Foreign Wills Valid in Portugal?
Foreign wills may be valid in relation to Portuguese assets, provided they meet applicable legal standards and do not conflict with mandatory Portuguese rules. However, recognition alone does not always guarantee a smooth succession process.
3ļøā£ Why a Portuguese Will Is Often Recommended
In many cases, it is prudent to:
⢠Prepare a Portuguese will limited to assets located in Portugal, or
⢠Carefully coordinate dual wills (one Portuguese, one foreign)
This approach can significantly reduce administrative delays and legal uncertainty.
4ļøā£ The Importance of Forced Heirship Rules
Portugal has forced heirship provisions, which can override testamentary intentions expressed in foreign wills. Without proper coordination, these rules may lead to outcomes very different from what the testator intended.
5ļøā£ Key Takeaway for Cross-Border Families
International estate planning is not just about will validityāitās about compatibility, coordination, and compliance across jurisdictions.
This episode provides practical guidance for internationally mobile families and advisors navigating succession planning involving Portuguese assets.




