Switzerland is no tax haven but may be a 'tax paradise'?

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 is no tax haven but may be a 'tax paradise'?

Sponsored by

Sponsored_Firms_deloitte.png
US president Biden labelled Switzerland as a tax haven in his state of the union address

René Zulauf and Manuel Angehrn of Deloitte Switzerland discuss why Switzerland can never really be described as a tax haven.

US president Joe Biden labelled Switzerland as a tax haven in his state of the union address, comparable to Bermuda and the Cayman Islands. Switzerland has never really truthfully been called a tax haven in the past, much less so since Switzerland phased out its special corporate tax regimes in 2019 and has been fully compliant with international tax standards ever since.

Contrary to tendencies observed on a global level, in particular in the EU and the US, Switzerland, while amending its tax legislation to meet international standards, kept it sane and simple, adding additional benefits, such as R&D incentives. Switzerland approached the challenges of COVID-19 with comparatively limited restrictions of business activity and individual freedoms. 

What is more, the Swiss government responded with a legislative package in an attempt to decrease the tax and regulatory burden for businesses in the future and to provide incentives for various industries. Among others, the Swiss parliament currently discusses the abolishment of Swiss withholding tax on bond interest and the abolishment of the securities transfer tax to further bolster financing operations in Switzerland and the financial industry. 

On the incentive side, the introduction of a tonnage tax for the shipping industry is in discussion (It may be little known that Switzerland, although small and landlocked, has a sizeable shipping industry). 

As another example, the canton of Zug, which has already one of the lowest tax rates among Swiss cantons, will reduce the tax rate due to COVID-19 temporarily further in years 2021–23 to mitigate the economic impact of the pandemic for taxpayers. This reduces the corporate headline tax rate in the city of Zug for instance to only 11.79% (effective combined federal/cantonal/communal rate) in these years.

The business-friendly attitude of Swiss government and of Swiss authorities is among others a consequence of direct democracy. The fact that Swiss citizens can essentially vote on legislative changes, either directly or via a referendum, keeps government in check and ensures that the government is actually there for the people and not vice versa. 

Equally, a healthy tax competition between the cantons, which are free to set their own tax rates, ensures competitive tax rates and a friendly treatment of taxpayers. In Switzerland, taxpayers are generally appreciated as business partners, rather than seen as mere taxable subjects.  

Admittedly, Switzerland needs competitive tax rates to compensate for the otherwise high cost of doing business. But then, paradise is never cheap.

René Zulauf

Partner, Deloitte Switzerland

E: rzulauf@deloitte.ch


Manuel Angehrn

Senior Manager, Deloitte Switzerland

E: maangehrn@deloitte.ch

 

 

more across site & shared bottom lb ros

More from across our site

Countries which care about fair taxation of tech multinationals and equitable global distribution of wealth should back the UN’s tax framework, writes economist Abdelmalek Riad
The cuts disproportionately affected staff in certain positions, the report also found; in other news, MHA announced the €24m acquisition of Baker Tilly South East Europe
The plan aims to improve the efficiency, transparency, and effectiveness of direct tax administration in India
Meanwhile, South Africa’s finance minister has accepted a court decision on suspending a VAT increase and US President Donald Trump mulls a 100% tariff on foreign films
Jaime Carey speaks about the benefits of his tax background, DEI values, the use of AI for a smarter legal practice, and other priorities that will define his presidency
Historically low levels of attrition over consecutive years made a ‘difficult decision’ necessary, PwC has reportedly said
WTS Global is also vetting new potential member firms in Algeria, Cote D’Ivoire and Benin, Kelly Mgbor tells ITR in an exclusive interview
The scope of qualifying pillar two tax credits could reportedly be broadened; in other news, hundreds of IRS appeals staff are to resign
For many taxpayers, the prospect of long-term certainty that a bilateral APA offers can override concerns about time, cost and confidentiality
Levine, who served under the Joe Biden administration, led the US’s negotiations on the OECD’s two-pillar solution
Gift this article