Posted by Levi WEISZ
Value added tax (VAT)
Tuesday, March 1st, 2011

Turnover from deliveries of goods and the provision of services in Switzerland are subject to value added tax. The tax obligation exists from turnover in Switzerland of at least CHF 75,000.00 per year. The normal rate is 7.6%. Certain objects and services have a privileged tax rate of 2.4%. Turnover from goods and services which [...]
Posted by Levi WEISZ
Value added tax (VAT)
Monday, February 28th, 2011

Consumers across Europe are facing increased prices as a result of a fresh wave of Value-Added Tax increases introduced in the new year, in the UK, Switzerland and five other countries. According to TMF VAT specialists, countries implementing high rates will see prices increase by 1-2%, and there will be an increased potential for VAT [...]
Posted by Levi WEISZ
Withholding tax
Monday, February 28th, 2011

The distributions of the profit of a company, for example dividend payments and other kinds of profit distribution, are subject to Federal withholding tax. This tax is raised at source and currently amounts to 35%. The reimbursement of this tax depends on whether the double taxation agreement between Switzerland and the country of ordinary residence [...]
Posted by Levi WEISZ
Taxation of branch establishment
Monday, February 28th, 2011

For tax purposes, a branch establishment is a business establishment which belongs to a natural or legal person with a foreign domicile. Consequently, it is only to a limited extent liable to pay tax on income which is economically able to be allocated to Switzerland. The branch establishment of an incorporated firm is in Switzerland [...]
Posted by Levi WEISZ
Taxation of Mixed Company
Monday, February 28th, 2011

Legal form: stock corporations, limited commercial partnerships, limited liability companies, co-operative associations, secondary branches of foreign stock corporations or a pure business establishment of foreign incorporated firms. The business activity must mainly be carried on abroad. In the case of trading companies, at least 80% of the sales/purchases must take place abroad. Mixed companies may [...]
Posted by Levi WEISZ
The Canton of Zug
Monday, February 28th, 2011

Direct Federal tax favours solely holding and principal companies in that a tax reduction may be claimed at a Federal level on the basis of the income from important investments (investment deduction). Holding companies Holding companies are companies whose main aim is the permanent management of investments in other companies and which do not carry [...]
Posted by Levi WEISZ
The Canton of Zug
Monday, February 28th, 2011

The Canton of Zug is considered to be the canton with the most favourable tax system and can also be described as a particularly uncomplicated and unbureaucratic canton in the way in which the cantonal tax authorities deal with tax-payers. In theory, all natural and legal persons in the Canton of Zug are liable to [...]