Notarization & Witness Requirements by Country
Whether a legal document must be notarized or witnessed — and by how many people — varies sharply by country and by document type. This reference compares the typical execution formalities for 9 common documents across 36 jurisdictions: affidavits almost always need notarization, wills usually need two witnesses in common-law countries, and civil-law systems often require a full notarial deed for deeds, powers of attorney and prenuptial agreements.
General informational reference compiled by the Forms-Legal editorial team — not legal advice. Formalities change and vary within federal countries; confirm current requirements with a qualified local professional before relying on them. Last updated 2026-06-20.
Why notarization and witness rules differ by country
Common-law jurisdictions (the United States, United Kingdom, Australia, India, Singapore and others) treat a signed document plus witnesses as the default, reserving notaries public for specific acts such as affidavits and deeds. Civil-law systems (continental Europe, Latin America and Quebec) place a civil-law notary at the centre of important transactions: a "notarial deed" — escritura pública, acte authentique or notarielle Urkunde — is a drafted, state-backed instrument required for property transfers, prenuptial agreements and many powers of attorney. Registration regimes (land registries, probate courts, marriage registries) add further formalities. The result: an instrument valid in one country can be unenforceable in another, which is why execution requirements must be checked per jurisdiction.
Affidavit / Sworn Statement: notarization & witnesses by country
| Jurisdiction | Notarization | Witnesses | Key point |
|---|---|---|---|
| Argentina | Required | 0 | Declaracion jurada before escribano publico or authorised authority. |
| Australia | Required | 0 | Sworn before justice of peace, solicitor, or notary. |
| Austria | Optional | 0 | Eidesstattliche Erklarung; notarized for official use. |
| Belgium | Not typically required | 0 | Declaration sur l'honneur; notarized for official proceedings. |
| Brazil | Required | 0 | Declaracao juramentada before tabeliao (notary) or sworn commissioner. |
| Canada | Required | 0 | Commissioner of oaths or notary public required by province. |
| Chile | Required | 0 | Declaracion jurada before notario; common for public-sector use. |
| Colombia | Required | 0 | Declaracion juramentada before notario or authorized official. |
| Denmark | Not typically required | 0 | Tro og love erklaering; sworn before court for formal use. |
| Finland | Not typically required | 0 | Vakuutus; sworn before court or magistrate for formal use. |
| France | Not typically required | 0 | Attestation sur l'honneur; no notary for civil declarations. |
| Germany | Optional | 0 | Eidesstattliche Erklarung; notarized for official use. |
| Ghana | Required | 0 | Sworn before Commissioner for Oaths, notary, or court. |
| Hong Kong | Required | 0 | Sworn before solicitor, notary, or commissioner for oaths. |
| India | Required | 0 | Sworn before notary, magistrate, or oath commissioner. |
| Ireland | Required | 0 | Sworn before solicitor, commissioner for oaths, or notary. |
| Italy | Not typically required | 0 | Dichiarazione sostitutiva (DPR 445/2000); self-certified declaration. |
| Kenya | Required | 0 | Sworn before Commissioner for Oaths or notary public. |
| Malaysia | Required | 0 | Sworn before commissioner for oaths, notary, or court officer. |
| Mexico | Required | 2 | Declared before notario publico; ratified with witnesses. |
| Netherlands | Not typically required | 0 | Verklaring onder ede; sworn before court or notary. |
| New Zealand | Required | 0 | Sworn before solicitor, notary, or Justice of Peace. |
| Nigeria | Required | 0 | Sworn before notary public, commissioner for oaths, or court. |
| Norway | Not typically required | 0 | Egenerklaring; sworn before court or notary for official use. |
| Pakistan | Required | 0 | Sworn before notary, oath commissioner, or judicial magistrate. |
| Philippines | Required | 0 | Notarization mandatory before notary public (2004 Notarial Rules). |
| Poland | Not typically required | 0 | Oswiadczenie; notarized or before authority for formal use. |
| Portugal | Not typically required | 0 | Declaracao sob compromisso de honra; notarized for official use. |
| Quebec | Required | 0 | Sworn before commissioner for oaths or notary; no additional witnesses. |
| Singapore | Required | 0 | Sworn before Commissioner for Oaths or notary public. |
| Spain | Not typically required | 0 | Declaracion jurada; notarized for official or foreign use. |
| Sweden | Not typically required | 0 | Skriftlig forsakran; sworn before court or notary for formal use. |
| Switzerland | Optional | 0 | Eidesstattliche Erklarung; notarized for formal proceedings. |
| UAE | Required | 0 | Notarised before notary public or via Ministry of Justice. |
| United Kingdom | Required | 0 | Sworn before solicitor, commissioner for oaths, or notary. |
| United States | Required | 0 | Notary public required; witnesses not typically mandated. |
Last Will & Testament: notarization & witnesses by country
| Jurisdiction | Notarization | Witnesses | Key point |
|---|---|---|---|
| Argentina | Notarial deed | 3 | Testamento por acto publico: escribano + 3 witnesses (CCyCN Art. 2479). |
| Australia | Not typically required | 2 | Two witnesses required; must witness simultaneously; not beneficiaries. |
| Austria | Optional | 3 | Holographic or notarial; witnessed will needs 3 witnesses. |
| Belgium | Optional | 2 | Holographic or authentic (notarial); Civil Code Art. 972. |
| Brazil | Notarial deed | 5 | Testamento publico: tabeliao + 2 witnesses; closed will: 5 witnesses. |
| Canada | Not typically required | 2 | Two witnesses required; must not be beneficiaries (most provinces). |
| Chile | Notarial deed | 3 | Testamento solemne abierto: notario + 3 witnesses required. |
| Colombia | Notarial deed | 3 | Testamento solemne abierto requires notario and 3 witnesses. |
| Denmark | Optional | 2 | Holographic or notarial; notarial via probate court (testamente). |
| Finland | Not typically required | 2 | 2 witnesses mandatory; PK 10:1. |
| France | Optional | 2 | Olographic or notarial (authentic) will; Code Civil Art. 970-971. |
| Germany | Optional | 0 | Holographic or notarial will; notarial preferred. |
| Ghana | Optional | 2 | Two witnesses required; Wills Act 1971; registration recommended. |
| Hong Kong | Not typically required | 2 | Two witnesses required; must not be beneficiaries; signed by testator. |
| India | Optional | 2 | Two witnesses required; registration optional but strongly advised. |
| Ireland | Not typically required | 2 | Two witnesses required; must not be beneficiaries under the will. |
| Italy | Optional | 2 | Olographic or public (notarial); notarial needs 2 witnesses. |
| Kenya | Not typically required | 2 | Two witnesses required; Law of Succession Act Cap 160. |
| Malaysia | Not typically required | 2 | Two witnesses required; must not be beneficiaries; Wills Act 1959. |
| Mexico | Notarial deed | 3 | Testamento publico abierto before notario; 3 witnesses. |
| Netherlands | Notarial deed | 0 | Notarial will mandatory (BW Art. 4:94); codicil limited. |
| New Zealand | Not typically required | 2 | Two witnesses required; witnesses must not be beneficiaries. |
| Nigeria | Not typically required | 2 | Two witnesses required; must not be beneficiaries. |
| Norway | Not typically required | 2 | 2 witnesses mandatory; AL §49+. |
| Pakistan | Optional | 2 | Two witnesses required; Muslim personal law (Sharia) governs Wasiyat. |
| Philippines | Required | 3 | Notarial will: three witnesses. Holographic will: no notary or witnesses. |
| Poland | Optional | 2 | Holographic or notarial; allographic needs 2 witnesses; KC Art. 949+. |
| Portugal | Optional | 2 | Public (notarial) or closed will; CC Art. 2204+; holographic valid. |
| Quebec | Notarial deed | 1 | Notarial will (CCQ Art. 716): notary + 1 witness; no probate. |
| Singapore | Not typically required | 2 | Two witnesses required; must not be beneficiaries. |
| Spain | Optional | 3 | Notarial (open) or holographic; open will standard; CC Art. 694. |
| Sweden | Not typically required | 2 | 2 witnesses mandatory; no notarization required (AB 10:1). |
| Switzerland | Optional | 2 | Holographic or public (notarial) will; ZGB Art. 498-504. |
| UAE | Required | 2 | Non-Muslims: DIFC/ADJD Wills; Muslims: Sharia applies; registration required. |
| United Kingdom | Not typically required | 2 | Two witnesses required; neither may be beneficiary or spouse. |
| United States | Optional | 2 | Two witnesses required; notarized self-proving will common. |
Living Will / Advance Directive: notarization & witnesses by country
| Jurisdiction | Notarization | Witnesses | Key point |
|---|---|---|---|
| Argentina | Required | 2 | Directivas anticipadas: notarial form common; 2 witnesses typical. |
| Australia | Not typically required | varies | Formalities vary by state/territory; usually one or two witnesses. |
| Austria | Optional | 2 | PatVG: written, signed, 2 witnesses or notarized. |
| Belgium | Not typically required | 2 | Written, dated, signed; 2 witnesses required by law. |
| Brazil | Optional | 2 | Diretivas antecipadas: notarial form recommended; 2 witnesses needed. |
| Canada | Optional | varies | Requirements vary by province; witnesses often required not notary. |
| Chile | Required | 2 | Ley 20.584; notarized with 2 witnesses or civil-registry officer. |
| Colombia | Required | 2 | Notarial deed common; witness requirements vary by entity. |
| Denmark | Not typically required | 0 | Livstestamente; registered with the national patient register. |
| Finland | Not typically required | 0 | Hoitotahto; written, signed; no formal registration required. |
| France | Not typically required | 2 | Directives anticipees; written, dated, signed; 2 witnesses if unable. |
| Germany | Not typically required | 0 | Written, signed; witness or notarization optional. |
| Ghana | Optional | varies | No specific statute; written document with notarization advisable. |
| Hong Kong | Not typically required | 1 | No statutory form; written document with witness generally acceptable. |
| India | Required | 2 | Two witnesses plus Judicial Magistrate per Supreme Court 2018 ruling. |
| Ireland | Not typically required | 2 | Two witnesses required; must be independent adults. |
| Italy | Not typically required | 0 | DAT (Law 219/2017); written, signed; registered with municipality. |
| Kenya | Optional | varies | No specific statute; written directive with notarization advisable. |
| Malaysia | Not typically required | varies | No specific statute; written directive; legal status uncertain. |
| Mexico | Required | 2 | Notarization required; witness count varies by state. |
| Netherlands | Not typically required | 0 | Wilsverklaring; written, signed; no notary required. |
| New Zealand | Not typically required | 1 | Advance directive; no statutory form; written and signed suffices. |
| Nigeria | Optional | varies | No specific statute; written advance directive with witnesses advisable. |
| Norway | Not typically required | 0 | Forhandssamtykke; written, signed; no formality prescribed. |
| Pakistan | Optional | varies | No specific statute; written directive; Islamic law context applies. |
| Philippines | Not typically required | varies | No specific statute; written advance directive used in practice. |
| Poland | Not typically required | 0 | No formal statute; advance directives recognized in practice. |
| Portugal | Not typically required | 0 | Testamento vital (Law 25/2012); written, signed, registered in RENTEV. |
| Quebec | Optional | 2 | Mandate/advance directive: notarial or private with 2 witnesses (CCQ Art. 2166). |
| Singapore | Not typically required | 2 | Two witnesses required under the Advance Medical Directive Act. |
| Spain | Optional | 3 | Instrucciones previas; notarized or 3 witnesses; regional variation. |
| Sweden | Not typically required | 0 | Framtidsfullmakt (2017:310); written, signed; witness optional. |
| Switzerland | Not typically required | 0 | Written, signed; ZGB Art. 370; no notary required. |
| UAE | Required | varies | No comprehensive statute; Islamic law context; notarisation advisable. |
| United Kingdom | Not typically required | 1 | One witness required; cannot be paid carer or beneficiary. |
| United States | varies | varies | Requirements vary by state; usually notary or two witnesses. |
Power of Attorney: notarization & witnesses by country
| Jurisdiction | Notarization | Witnesses | Key point |
|---|---|---|---|
| Argentina | Notarial deed | 0 | Escritura publica before escribano; required for real estate acts. |
| Australia | Required | varies | Enduring POA requires notary or JP; witness rules vary by state. |
| Austria | Optional | 0 | Notarization required for real estate or banking POA. |
| Belgium | Optional | 0 | Notarization required for real estate or lasting mandate. |
| Brazil | Notarial deed | 0 | Procuracao publica via tabeliao for real property; private POA otherwise. |
| Canada | Optional | varies | Witness or notary requirements vary by province. |
| Chile | Notarial deed | 0 | Escritura publica before notario; or private with notarial authorisation. |
| Colombia | Notarial deed | 0 | Escritura publica before notario; authenticated for foreign use. |
| Denmark | Optional | 0 | Fremtidsfuldmagt needs court registration; general POA no formality. |
| Finland | Optional | 0 | Edunvalvontavaltuutus: 2 witnesses + DVV registration required. |
| France | Optional | 0 | Notarization for real estate or mandat de protection future. |
| Germany | Optional | 0 | Notarization required for real estate or banking POA. |
| Ghana | Required | 2 | Must be stamped; Powers of Attorney Act 1998; two witnesses required. |
| Hong Kong | Optional | 1 | Enduring POA requires one witness; registration not mandatory. |
| India | Required | varies | Registration required if authorising property transactions; notarised. |
| Ireland | Not typically required | 1 | Enduring POA: one witness; must be registered with Wards Office. |
| Italy | Optional | 0 | Notarization required for real estate or broad mandates. |
| Kenya | Required | 1 | Powers of Attorney Act; must be stamped; advocate certification required. |
| Malaysia | Required | 1 | Powers of Attorney Act 1949; must be stamped and registered. |
| Mexico | Notarial deed | 2 | Escritura publica before notario publico required. |
| Netherlands | Optional | 0 | Notarization for real estate or lasting POA (levenstestament). |
| New Zealand | Required | 1 | Enduring POA requires witness; certification by solicitor or notary. |
| Nigeria | Required | 2 | Must be stamped; for land transactions, registration required. |
| Norway | Optional | 0 | Notarization for real estate; fremtidsfullmakt 2 witnesses. |
| Pakistan | Required | 2 | Registered with sub-registrar; stamp duty required; two witnesses. |
| Philippines | Required | 2 | Notarization required; two witnesses under 2004 Notarial Rules. |
| Poland | Optional | 0 | Notarization required for real estate or broad authority. |
| Portugal | Optional | 0 | Notarization required for real estate or irrevocable mandates. |
| Quebec | Notarial deed | 1 | Protection mandate: notarial preferred (CCQ Art. 2169). |
| Singapore | Required | 1 | LPA registered with OPG; donee declaration witnessed by certificate issuer. |
| Spain | Optional | 0 | Notarization required for real estate, banking, or court POA. |
| Sweden | Not typically required | 2 | Framtidsfullmakt needs 2 witnesses; general POA no formality. |
| Switzerland | Optional | 0 | Notarization required for real estate or banking. |
| UAE | Required | 2 | Notarised before notary public; MOFA attestation may be required. |
| United Kingdom | Not typically required | 1 | Lasting POA registered with OPG; one witness per signature. |
| United States | Required | varies | Notarization required in most states; some require witnesses too. |
Property Deed: notarization & witnesses by country
| Jurisdiction | Notarization | Witnesses | Key point |
|---|---|---|---|
| Argentina | Notarial deed | 0 | Escritura publica mandatory; registered in Registro de la Propiedad. |
| Australia | Required | 1 | Execution requires witness; notary or JP for foreign execution. |
| Austria | Notarial deed | 0 | Notarial authentication and land register entry required. |
| Belgium | Notarial deed | 0 | Notarial deed mandatory for property transfers. |
| Brazil | Notarial deed | 2 | Escritura publica; 2 witnesses; registration in Cartorio mandatory. |
| Canada | Required | varies | Notarization or land titles office requirements vary by province. |
| Chile | Notarial deed | 0 | Escritura publica; inscription in Conservador de Bienes Raices mandatory. |
| Colombia | Notarial deed | 0 | Escritura publica; registration in Oficina de Registro obligatory. |
| Denmark | Not typically required | 0 | Written deed + Tinglysning (digital registration) required. |
| Finland | Not typically required | 0 | Written deed + MML registration; witnesses often used. |
| France | Notarial deed | 0 | Acte authentique mandatory; notary required (Code Civil Art. 1582+). |
| Germany | Notarial deed | 0 | Notarial authentication mandatory (BGB §311b). |
| Ghana | Required | 2 | Land Act 2020; instrument executed, stamped, registered at Lands Commission. |
| Hong Kong | Required | 1 | Executed as deed; registered with Land Registry; notary for foreign parties. |
| India | Required | 2 | Compulsory registration under Registration Act 1908; two witnesses. |
| Ireland | Not typically required | 1 | Deed executed with witness; registration in Land Registry required. |
| Italy | Notarial deed | 0 | Notarial deed and land registry transcription mandatory. |
| Kenya | Required | 2 | Land Registration Act; instrument executed, witnessed, and registered. |
| Malaysia | Required | 1 | Memorandum of Transfer registered at Land Office; stamp duty applies. |
| Mexico | Notarial deed | 0 | Escritura publica; registered in Registro Publico de la Propiedad. |
| Netherlands | Notarial deed | 0 | Notarial deed and cadastral registration mandatory. |
| New Zealand | Not typically required | 1 | Instruments require witness; registration with LINZ required. |
| Nigeria | Required | 2 | Deed registered at Land Registry; governor's consent often required. |
| Norway | Not typically required | 0 | Written deed + Kartverket tinglysing (registration) required. |
| Pakistan | Required | 2 | Transfer of Property Act; registered with Sub-Registrar; stamp duty. |
| Philippines | Required | 2 | Deed of Absolute Sale notarized; registered with Registry of Deeds. |
| Poland | Notarial deed | 0 | Notarial deed mandatory; land-mortgage register entry required. |
| Portugal | Notarial deed | 0 | Escritura publica mandatory; land registry entry required. |
| Quebec | Notarial deed | 0 | Acte notarie required; published at Registre foncier du Quebec. |
| Singapore | Required | 1 | Instrument must be signed, witnessed, and registered with SLA. |
| Spain | Notarial deed | 0 | Escritura publica mandatory; land registry inscription required. |
| Sweden | Not typically required | 2 | Written deed + 2 witnesses + Lantmateriet registration required. |
| Switzerland | Notarial deed | 0 | Notarial deed and land-register entry mandatory. |
| UAE | Required | 0 | Registered with Dubai Land Department or Abu Dhabi DOT; notarisation required. |
| United Kingdom | Not typically required | 1 | Executed as deed; one witness to each signature; HMLR registration. |
| United States | Required | varies | Notarization required for recording; witness rules vary by state. |
Bill of Sale: notarization & witnesses by country
| Jurisdiction | Notarization | Witnesses | Key point |
|---|---|---|---|
| Argentina | Not typically required | 0 | Private document for movables; vehicles require form 08 notarised. |
| Australia | Not typically required | 0 | No statutory formalities for most personal property sales. |
| Austria | Not typically required | 0 | Written contract sufficient for movables. |
| Belgium | Not typically required | 0 | Written contract sufficient for movables. |
| Brazil | Not typically required | 0 | Contrato de compra e venda: private document sufficient for movables. |
| Canada | Not typically required | 0 | No statutory formalities; writing sufficient for most transactions. |
| Chile | Not typically required | 0 | Private document for movables; real property always notarial deed. |
| Colombia | Not typically required | 0 | Private document for movables; vehicles require notarial deed. |
| Denmark | Not typically required | 0 | Written or oral sufficient. |
| Finland | Not typically required | 0 | Written or oral sufficient. |
| France | Not typically required | 0 | Written or oral sufficient for movables. |
| Germany | Not typically required | 0 | Written contract sufficient; notary only for real property. |
| Ghana | Optional | 0 | No statutory formalities; stamp duty may apply above threshold. |
| Hong Kong | Not typically required | 0 | No statutory formalities for personal property sales. |
| India | Optional | 0 | No mandatory formality; stamp duty may apply depending on state. |
| Ireland | Not typically required | 0 | No statutory formalities for ordinary sale of goods. |
| Italy | Not typically required | 0 | Written contract sufficient for movables. |
| Kenya | Optional | 0 | No statutory formalities; stamp duty may apply. |
| Malaysia | Not typically required | 0 | No statutory formalities for general sale of goods. |
| Mexico | Not typically required | 0 | Private document sufficient for most movable goods. |
| Netherlands | Not typically required | 0 | Written or oral sufficient for movables. |
| New Zealand | Not typically required | 0 | No statutory formalities; writing sufficient. |
| Nigeria | Optional | 0 | Bill of Sale Act requires stamping; registration advisable. |
| Norway | Not typically required | 0 | Written or oral sufficient. |
| Pakistan | Optional | 0 | Sale of Goods Act 1930; no mandatory formalities for movable property. |
| Philippines | Optional | 0 | Notarization recommended for vehicles; no statutory formality otherwise. |
| Poland | Not typically required | 0 | Written contract sufficient for movables. |
| Portugal | Not typically required | 0 | Written contract sufficient for movables. |
| Quebec | Not typically required | 0 | Private deed sufficient; notarial form optional for movable hypothec. |
| Singapore | Not typically required | 0 | No statutory formalities for sale of goods. |
| Spain | Not typically required | 0 | Written or oral sufficient for movables. |
| Sweden | Not typically required | 0 | Written or oral sufficient. |
| Switzerland | Not typically required | 0 | Oral or written; notary only for immovables. |
| UAE | Optional | 0 | No statutory formalities for general goods; commercial transactions differ. |
| United Kingdom | Not typically required | 1 | Bills of Sale Act 1878 requires attestation by one witness. |
| United States | Optional | 0 | Generally no formalities; notarization optional for vehicles/boats. |
Living Trust: notarization & witnesses by country
| Jurisdiction | Notarization | Witnesses | Key point |
|---|---|---|---|
| Argentina | N/A | 0 | No Anglo-American trust; fideicomiso (Law 24.441) differs structurally. |
| Australia | Not typically required | 1 | Trust deed executed as deed; one witness typically required. |
| Austria | N/A | 0 | No trust concept; Treuhand or testamentary instruments used. |
| Belgium | N/A | 0 | No trust concept; use fiducie or contractual arrangements. |
| Brazil | N/A | 0 | No trust in Brazilian civil law; patrimonial fund structures used. |
| Canada | Optional | varies | Trust deed formalities vary by province; Quebec requires notarial act. |
| Chile | N/A | 0 | No trust concept in Chilean civil law; fideicomiso is different. |
| Colombia | N/A | 0 | Common-law trust not recognised; fideicomiso via financial entity. |
| Denmark | N/A | 0 | No trust concept; fond or testamentary instruments used. |
| Finland | N/A | 0 | No trust concept; saatio or testamentary instruments used. |
| France | N/A | 0 | No trust concept; fiducie (Law 2007-211) for commercial use only. |
| Germany | N/A | 0 | No trust concept; use Treuhand or testamentary instruments. |
| Ghana | Optional | varies | Trusts Act 1962; trust deed in writing; registration recommended. |
| Hong Kong | Not typically required | 1 | Trust deed executed as deed with witness. |
| India | Optional | 0 | No separate trust registration required unless immovable property involved. |
| Ireland | Not typically required | 1 | Trust deed as deed with witness; no separate registry for trusts. |
| Italy | N/A | 0 | No domestic trust; foreign trusts recognized under Hague Convention. |
| Kenya | Optional | varies | Trustee Act Cap 167; registration not typically required. |
| Malaysia | Not typically required | 0 | Trust deed in writing; no public registration; stamp duty applies. |
| Mexico | Notarial deed | 0 | Fideicomiso; executed as escritura publica before notario. |
| Netherlands | N/A | 0 | No trust concept; Stichting or testamentary arrangements used. |
| New Zealand | Not typically required | 1 | Trust deed requires execution as deed with witness typically. |
| Nigeria | Optional | varies | No specific trust registry; registering the trust deed is advisable. |
| Norway | N/A | 0 | No trust concept; stiftelse or testamentary instruments used. |
| Pakistan | Optional | varies | Trust Act 1882; Waqf under Islamic law for charitable trusts. |
| Philippines | Optional | varies | Trust not common; deed of trust notarized in practice. |
| Poland | N/A | 0 | No trust concept; fundacja or testamentary instruments used. |
| Portugal | N/A | 0 | No trust concept; fideicomisso limited; foundations used. |
| Quebec | Optional | 0 | Fiducie (CCQ Art. 1260): notarial deed strongly recommended. |
| Singapore | Not typically required | 1 | Trust deed executed as deed with witness; no public trust registry. |
| Spain | N/A | 0 | No trust concept; fideicomiso limited; foundations used. |
| Sweden | N/A | 0 | No trust concept; stiftelse or testamentary instruments used. |
| Switzerland | N/A | 0 | No trust concept; foundations or succession law used. |
| UAE | Required | varies | DIFC/ADGM trust frameworks; registration and notarisation required. |
| United Kingdom | Not typically required | 1 | Trust deed executed as deed; one witness per signature typically. |
| United States | Required | varies | Notarization widely required; witness requirements vary by state. |
Prenuptial Agreement: notarization & witnesses by country
| Jurisdiction | Notarization | Witnesses | Key point |
|---|---|---|---|
| Argentina | Notarial deed | 0 | Convenciones matrimoniales: escritura publica before escribano required. |
| Australia | Not typically required | 1 | Binding financial agreements require independent legal advice certificates. |
| Austria | Notarial deed | 0 | Notarial deed mandatory (ABGB §97). |
| Belgium | Notarial deed | 0 | Notarial deed mandatory (Civil Code Art. 1392). |
| Brazil | Notarial deed | 2 | Pacto antenupcial: escritura publica required (CC Art. 1653); 2 witnesses. |
| Canada | Optional | varies | Must be written; independent legal advice recommended; varies by province. |
| Chile | Notarial deed | 0 | Capitulaciones matrimoniales must be escritura publica before marriage. |
| Colombia | Notarial deed | 0 | Capitulaciones before notario; must precede or accompany marriage. |
| Denmark | Not typically required | 0 | Written, signed, approved by Familieretshuset (AEL §28). |
| Finland | Not typically required | 2 | Written, signed, 2 witnesses, registered with DVV (AL 42§). |
| France | Notarial deed | 0 | Notarial deed mandatory (Code Civil Art. 1394). |
| Germany | Notarial deed | 0 | Notarial deed mandatory (BGB §1410). |
| Ghana | Optional | 0 | Limited statutory recognition; Matrimonial Causes Act governs. |
| Hong Kong | Not typically required | 0 | Valid if in writing; courts have discretion; independent advice advised. |
| India | Optional | 0 | Not specifically governed; enforceability uncertain; personal law applies. |
| Ireland | Not typically required | 0 | Not formally recognised; independent legal advice strongly advised. |
| Italy | Notarial deed | 2 | Notarial deed mandatory; 2 witnesses required (CC Art. 162). |
| Kenya | Optional | 0 | Recognised but limited statutory framework; customary marriages vary. |
| Malaysia | Not typically required | 0 | Recognised for civil marriages; Islamic law governs Muslim marriages separately. |
| Mexico | Notarial deed | 2 | Capitulaciones matrimoniales before notario; filed with civil registry. |
| Netherlands | Notarial deed | 0 | Notarial deed mandatory (BW Art. 1:115). |
| New Zealand | Not typically required | 0 | Contracting Out Agreement; solicitors certify independent advice. |
| Nigeria | Optional | 0 | Recognised under common law; customary law may override in some states. |
| Norway | Not typically required | 0 | Written, signed, registered with Bronnoysund (EL §65). |
| Pakistan | Optional | 2 | Nikah Nama serves a similar function (Muslim Family Laws Ordinance 1961). |
| Philippines | Required | 0 | Ante-nuptial agreement must be written and notarized (Family Code). |
| Poland | Notarial deed | 0 | Notarial deed mandatory (KC Art. 47). |
| Portugal | Notarial deed | 0 | Escritura publica mandatory (CC Art. 1710). |
| Quebec | Notarial deed | 0 | Marriage contract (CCQ Art. 440): notarial deed mandatory. |
| Singapore | Not typically required | 0 | Valid if in writing; independent legal advice strongly recommended. |
| Spain | Notarial deed | 0 | Escritura publica mandatory (CC Art. 1327). |
| Sweden | Not typically required | 2 | Written, signed, 2 witnesses, registered with Skatteverket (AktB 7:3). |
| Switzerland | Notarial deed | 0 | Notarial deed mandatory (ZGB Art. 184). |
| UAE | Required | 2 | Non-Muslims may use DIFC framework; Muslims under Personal Status Law. |
| United Kingdom | Not typically required | 1 | No statutory form; independent legal advice strongly advised. |
| United States | Optional | varies | Writing required; notarization and witnesses vary by state. |
Promissory Note: notarization & witnesses by country
| Jurisdiction | Notarization | Witnesses | Key point |
|---|---|---|---|
| Argentina | Not typically required | 0 | Pagare is executive title by law; no notarisation needed. |
| Australia | Not typically required | 0 | No execution formalities under Cheques Act or common law. |
| Austria | Not typically required | 0 | Written form sufficient. |
| Belgium | Not typically required | 0 | Written form sufficient. |
| Brazil | Not typically required | 0 | Nota promissoria is autonomous credit instrument; no notarisation required. |
| Canada | Not typically required | 0 | No execution formalities required under Bills of Exchange Act. |
| Chile | Not typically required | 0 | Pagare is negotiable instrument; no notarisation required. |
| Colombia | Not typically required | 0 | Pagare self-executing; notarial protest optional for enforcement. |
| Denmark | Not typically required | 0 | Written form sufficient. |
| Finland | Not typically required | 0 | Written form sufficient; VeksL governs. |
| France | Not typically required | 0 | Written form sufficient under Code de Commerce. |
| Germany | Not typically required | 0 | Written form sufficient; no notarization needed. |
| Ghana | Not typically required | 0 | Bills of Exchange Act applicable; no execution formalities required. |
| Hong Kong | Not typically required | 0 | Governed by Bills of Exchange Ordinance; no execution formalities. |
| India | Not typically required | 0 | Governed by Negotiable Instruments Act 1881; stamp duty required. |
| Ireland | Not typically required | 0 | No execution formalities required. |
| Italy | Not typically required | 0 | Written form sufficient. |
| Kenya | Not typically required | 0 | Governed by Bills of Exchange Act; stamp duty applies. |
| Malaysia | Not typically required | 0 | Governed by Bills of Exchange Act 1949; no execution formalities. |
| Mexico | Not typically required | 0 | Pagare is self-executing negotiable instrument; no notary needed. |
| Netherlands | Not typically required | 0 | Written form sufficient. |
| New Zealand | Not typically required | 0 | No execution formalities required. |
| Nigeria | Not typically required | 0 | Governed by Bills of Exchange Act; stampable; no witness required. |
| Norway | Not typically required | 0 | Written form sufficient; Gjeldsbrevloven governs. |
| Pakistan | Not typically required | 0 | Negotiable Instruments Act 1881; stamp duty required. |
| Philippines | Not typically required | 0 | No notarization required; governed by Negotiable Instruments Law. |
| Poland | Not typically required | 0 | Written form sufficient; weksel governed by Bill of Exchange Law. |
| Portugal | Not typically required | 0 | Written form sufficient. |
| Quebec | Not typically required | 0 | Governed by Bills of Exchange Act (federal); no notarisation required. |
| Singapore | Not typically required | 0 | Governed by Bills of Exchange Act; no execution formalities. |
| Spain | Not typically required | 0 | Written form sufficient; pagare governed by Ley Cambiaria. |
| Sweden | Not typically required | 0 | Written form sufficient; SkuldebrevL governs. |
| Switzerland | Not typically required | 0 | Written form sufficient under OR. |
| UAE | Optional | 0 | Commercial paper; notarisation recommended but not mandatory. |
| United Kingdom | Not typically required | 0 | Simple written instrument; no execution formalities required. |
| United States | Not typically required | 0 | No statutory formality; notarization optional for added security. |
Frequently asked questions
Do legal documents need to be notarized?
It depends on the document and the country. Across the 36 jurisdictions in this reference, affidavits almost always require notarization (or swearing before a commissioner for oaths), property deeds and powers of attorney usually do, and promissory notes and bills of sale usually do not. In civil-law countries (Germany, France, Mexico, Brazil and others) many documents instead require a "notarial deed" — an authentic act executed before a civil-law notary — which is a stronger requirement than common-law notarization.
How many witnesses does a will need?
In most common-law jurisdictions a will requires two witnesses who are not beneficiaries. The Philippines requires three for a notarial will (none for a holographic will), Brazil requires up to five for a closed will, and Quebec’s notarial will needs a notary plus one witness. Several civil-law countries allow a holographic (handwritten) will with no witnesses at all.
What is the difference between notarization and a "notarial deed"?
Common-law notarization is an act where a notary public verifies identity and witnesses a signature. A civil-law "notarial deed" (escritura pública, acte authentique, notarielle Urkunde) is a far more involved instrument: the notary drafts and is legally responsible for the document, which then has special evidentiary and enforceability status. Property transfers, prenuptial agreements and many powers of attorney require a notarial deed in civil-law jurisdictions.
Why do execution formalities differ so much between countries?
Common-law systems (US, UK, Australia, India and others) rely on the signed document plus witnesses, reserving notaries for specific acts. Civil-law systems (continental Europe, Latin America, Quebec) place the notary at the centre of important transactions. On top of that, registration regimes (land registries, probate courts, marriage registries) add their own requirements, so the same document can be valid in one country and unenforceable in another.
Are the templates in this comparison free?
Yes. forms-legal.com provides free, jurisdiction-aware templates for these document types, downloadable as PDF or Word with no signup required. Use the comparison below to check the local formality, then download the matching template.
About this comparison
This reference maps the typical notarization and witnessing formalities for 9 document types across 36 jurisdictions, curated from the forms-legal.com 36-jurisdiction legal-document library. "Notarial deed" denotes a civil-law authentic act (escritura pública / acte authentique), which is more demanding than common-law notarization; "N/A" marks document types with no direct equivalent in that legal system (for example the living trust in most civil-law countries). The dataset is published under a CC-BY 4.0 licence — you may reuse it with attribution to forms-legal.com.