Switzerland: Switzerland is still an attractive tax location

International Tax Review is part of Legal Benchmarking Limited, 4 Bouverie Street, London, EC4Y 8AX

Copyright © Legal Benchmarking Limited and its affiliated companies 2025

Accessibility | Terms of Use | Privacy Policy | Modern Slavery Statement

Switzerland: Switzerland is still an attractive tax location

schreiber.jpg

wehrli.jpg

René Schreiber


Jochen Wehrli-Ducaud

Switzerland is a small country in the heart of Europe, though it is one of the most competitive economies of the world. According to the World Economic Forum (WEF) Switzerland remains the world's most competitive country, topping the ranking for the fourth year running. What is more, Switzerland has been confirmed to have one of the highest qualities of living, the major Swiss cities Zurich, Geneva and Bern regularly rank among the top ten of Mercers Quality of Living Worldwide City rankings. In combination with one of the best tax climates worldwide this makes Switzerland a very attractive place for both foreign investments and domestic industries. Switzerland combines efficient, fair and business friendly tax authorities with low tax rates. The headline effective corporate income tax rate (combined cantonal/communal/federal) varies from canton to canton and starts at a rate as low as 11.3% in the lowest taxed community. The headline tax rate can be further reduced by one of the various tax regimes, such as mixed company, holding company or principal company regimes or by full or partial tax holidays for new businesses on a cantonal and federal level.

A Corporate Tax Reform III, with the requirement to be neutral in regard to overall tax revenues, is in discussion with the aim to preserve and further increase the attractiveness of Switzerland while addressing the concern of the EU with certain tax regimes. The federal department of finance has already appointed a project organisation to push the reform and to propose concrete measures for an enhanced system of corporate taxation. In a nutshell, the following alternatives are being discussed:

  • The mixed company regime is likely to be replaced longer term with an equally attractive regime which would also address concerns of the EU with this structure.

  • It can be expected that the mixed company will continue in its current form (including a grandfathering period) for approximately at least another five years.

  • Several alternative structures are under discussion such as an interest and IP box (similar to the Nidwalden IP box, which is only available in the canton of Nidwalden) for interest and IP income or the reduction of taxable income via deemed foreign permanent establishments, or alternatively deemed capital contributions for trading companies.

  • Also a significant reduction of general income tax rates on a federal and/or cantonal/communal level might be introduced.

The main criteria for a replacement structure is its attractiveness, given the importance of this structure for Switzerland, so we are confident that a favourable solution will be found that could be even more attractive than the favourable tax regimes.

René Schreiber (rschreiber@deloitte.ch)

Tel: +41 58 279 7216

Jochen Wehrli-Ducaud (jwehrliducaud@deloitte.ch)

Tel: +41 58 279 7202

Deloitte

more across site & shared bottom lb ros

More from across our site

Tax teams and the IT experts they rely on should be wary of increased compliance, says Richard Sampson, chief revenue officer at Tax Systems
The law firm was representing a businessman in the commodities sector who had previously been convicted of tax fraud
One expert last month predicted the short-term impact of tariffs would be “devastating” for both Canada and the US, particularly if the former instituted retaliatory measures
Ahead of another busy year for the World Tax rankings and ITR Awards, we profile some of the UK’s major firms and explore key market trends
The Labor government has done more than any previous administration to crack down on multinational tax avoidance, Andrew Leigh also tells ITR
Companies that come to terms with digitised tax processes now will stand to gain from FASTER’s disruption, argues Carlos Silva of Xceptor
Audit specialist Walsh, a 33-year veteran of KPMG, will assume the leadership role in July; in other news, a think tank has claimed that the UK tax advisory market requires ‘urgent reform’
The court emphasised that TP analysis must adhere to the arm's-length principle, be based on the specific facts of each transaction and comply with domestic regulations, one expert says
Singapore extends GST remission in 2025 budget; UK closes in on e-invoicing; two new partners at RSM Belgium ;and more
As we build up to another busy year for the World Tax rankings and ITR Awards, we give a rundown of some of the major firms and trends within the Brazil tax market
Gift this article