ZURICH, 25 OCTOBER 2017, ZURICH SHERATON HOTEL, 9.00 - 12.30
Based on recent Swiss administrative decisions and Swiss court judgements

> How have Swiss tax authorities tightened their practice in the last years to challenge multinational structures or cross border transactions?

> Typical cases where discussions or even disputes with tax authorities are very likely

> Other powerful “tools” in the hands of the Swiss tax administration: recent application by the Swiss tax administration and Courts judgements

> How can taxpayers with Swiss ties anticipate and ideally avoid potential tax exposures?

PROGRAMME