Tax planning

Today’s tax planning blends technology and business acumen to focus on consistency, compliance and the organization’s strategic objectives.


How transforming tax functions is paying off

New tax operating models in the last five years delivered value to businesses, our survey shows.

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Our latest thinking

BEPS Pillar II – What are the impacts on M&A transactions?

Since the beginning of this century, developments in international tax policy have accelerated significantly. The latest is the introduction of the OECD/G20 BEPS Pillar II, which aims to address base erosion and profit shifting by introducing a global minimum tax. Going forward, this will radically change the landscape for tax structuring as well as for certain domestic and cross-border M&A transactions.

New Swiss transfer pricing guidance

Additional guidance offers insights into the treatment of transfer pricing adjustments in Switzerland and their tax impact.

New Q&A on transfer pricing issued by the Swiss Federal Tax Administration

Additional transfer pricing guidance offers important insights into Swiss practice and the interpretation of international rules.

Spotlight on SFTA guidance regarding intercompany financial transactions

The transfer pricing Q&A provides welcome clarification of intercompany loans in the TP context.

New 2024 SFTA safe-harbor interest rates for advances and intercompany loans

SFTA reveals Switzerland interest rate drop to 2.5% in 2024 from 3.0% in 2023. Discover safe harbor rates impacts on CHF, EUR, USD loan rates.



    BEPS 2.0 Tax Alerts

    Keep up-to-date on significant BEPS 2.0 developments by signing up to the EY Swiss Tax Alerts library (select “BEPS 2.0”).

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