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The OECD released new publications on Pillar 2 compliance. This blog post focuses on the GIR aspects and Swiss Pillar 2 compliance considerations.
Switzerland is unlikely to be a primary target of US trade measures, but a 20% tariff could still impact industries. Read more and reach out for guidance.
Liechtenstein groups and companies within the threshold of global minimum tax are subject to a QDMTT and an IIR of 15 % for tax years starting on or after 1...
As of 2024, Liechtenstein groups and companies, with gross revenue of +750 million EUR, are subject to the global minimum tax of 15%. Read more here.