Crediting of foreign withholding taxes in Switzerland

We advise you on all issues relating to the crediting of foreign withholding taxes in Switzerland.

We competently support you in the preparation of applications for the credit of foreign withholding taxes by means of DA-1, DA-2 and DA-3 forms, in the discussions with the cantonal tax authorities or objection or appeal proceedings.

Individuals

  • Verification of the conditions for crediting foreign withholding taxes
  • Completion of forms DA-1 (dividends and interest) and DA-3 (royalties, service income).
  • Support with the assertion
  • Assertion of credit in connection with pensions subject to withholding tax
  • Teaching strategies for maximizing crediting opportunities.
  • Examination of the imputation possibilities for persons who are taxed in Switzerland on the basis of expenditure (lump sum)
  • Representation in objection or appeal proceedings up to the Federal Supreme Court

Individuals

No items found.

Individuals

  • Verification of the conditions for crediting foreign withholding taxes
  • Completion of forms DA-1 (dividends and interest) and DA-3 (royalties, service income).
  • Support with the assertion
  • Assertion of credit in connection with pensions subject to withholding tax
  • Teaching strategies for maximizing crediting opportunities.
  • Examination of the imputation possibilities for persons who are taxed in Switzerland on the basis of expenditure (lump sum)
  • Representation in objection or appeal proceedings up to the Federal Supreme Court

Legal entities

  • Verification of the conditions for crediting foreign withholding taxes
  • Completion of forms DA-2 (dividends and interest) and DA-3 (royalties, service income).
  • Analysis and optimization of cross-border activities with regard to imputation positions
  • Identification of pitfalls and challenges in the relationship between the imputation method and the OECD minimum taxation (GloBe; introduction as of 1.1.2024)
  • Representation in objection or appeal proceedings up to the Federal Supreme Court

Legal entities

No items found.

Legal entities

  • Verification of the conditions for crediting foreign withholding taxes
  • Completion of forms DA-2 (dividends and interest) and DA-3 (royalties, service income).
  • Analysis and optimization of cross-border activities with regard to imputation positions
  • Identification of pitfalls and challenges in the relationship between the imputation method and the OECD minimum taxation (GloBe; introduction as of 1.1.2024)
  • Representation in objection or appeal proceedings up to the Federal Supreme Court

We support you with...

We support you with...

  • Clarification of the application requirements in compliance with the relevant double taxation agreements
  • Preparation of forms DA-1, DA-2 and DA-3
  • Checking of prepared forms
  • Advice on optimizing applications from a Swiss perspective
  • Negotiation of tax rulings in this context.
  • Calculation of creditable withholding taxes for future Tax Planning
  • Assessment of the optimal imputation with regard to the introduction of the OECD minimum taxation (GloBe) as of 1.1.2024
  • Analysis and optimization of individual cross-border activities such as IP onshoring, etc.
  • Analysis of reimbursement decisions and advice on the various appeal options or opportunities.
  • Preparation of objections or appeals up to the Federal Supreme Court
  • Representation of individuals and legal entities in dealings with tax authorities and courts, respectively

We support you with...

Bucher Tax AG, tax consultancy, tax advisor, Lucerne
News on the topic
 
Crediting of foreign withholding taxes in Switzerland
News on the topic
 
Crediting of foreign withholding taxes in Switzerland


You can rely on our expertise in tax matters.
Thank you very much! We have received your message!
Oops! Something went wrong during transmission. Please try again or write to us directly at info@bucher-tax.ch.