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Tax is our second nature

How do you structure your business when legislation is ever-changing, nationally and internationally? How do you uphold an unblemished reputation and simultaneously maintain a highly efficient tax structure? Our experts will help you create the best solutions.

Our tax offering in Switzerland

  • Inbound and outbound investment structures, restructurings and reorganizations
  • M&A and capital market transactions, spin-offs, disposals and joint ventures
  • Transfer pricing (incl. documentation, planning, litigation, CbCR)
  • International tax (incl. BEPS, EU ATAD, CRS)
  • Employee participations, payroll tax and social security contributions
  • High net worth individuals and family owned businesses
  • Indirect tax
  • Tax Litigation

Our rankings

  • Chambers Global: band 4
  • International Tax Review - World Tax: tier 3
  • International Tax Review - World Transfer Pricing: tier 2
  • Legal 500: tier 3
Proposal EU: intermediaries must disclose potentially aggressive tax arrangements
Article - 21 June 2017

Proposal EU: intermediaries must disclose potentially aggressive tax arrangements

The EC submitted a proposal introducing mandatory disclosure rules for intermediaries. Failure to comply with the rules will be subject to penalties.
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Overview: MLI choices made by the Netherlands, Belgium, Luxembourg and Switzerland
Article - 15 June 2017

Overview: MLI choices made by the Netherlands, Belgium, Luxembourg and Switzerland

What are the choices made by the Netherlands, Belgium, Luxembourg and Switzerland on the multilateral instrument (MLI) signing? Check our overview.
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Update Swiss Tax Proposal 17 (TP 17): the major changes
Article - 09 June 2017

Update Swiss Tax Proposal 17: the major changes

Swiss government confirmed the main parameters of a revised Swiss corporate tax reform package, the Tax Proposal 17 (TP 17). Read the major changes.
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Signing of MLI (multilateral instrument): BEPS measures speedily introduced
Article - 09 June 2017

Signing of MLI (multilateral instrument): BEPS measures speedily introduced

The MLI modifies many existing bilateral tax treaties by speedily including anti-tax avoidance measures. The Benelux and Switzerland signed the MLI.
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Beneficial improvement on Swiss interest withholding tax for debt financings

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