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picture1_Agreement Sample 105147 | 26533 Item Download 2022-09-24 05-57-20


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File: Agreement Sample 105147 | 26533 Item Download 2022-09-24 05-57-20
federal department of finance fdf state secretariat for international financial matters sif www sif admin ch april 2012 questions and answers on the tax agreement with germany and the united ...

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                                                                                                                                                                                                                                                                                                                       Federal Department of Finance FDF 
                                                                                                                                                                                                                                                                                                                       State Secretariat for International Financial Matters SIF 
                                                                                                                                                                                                                                                                                                                        
                                                                                                                                                                                                                                                                                                                        
                                                                                                                                                                                                                                                                                                                        
                                                                                                                                                                                                                                                                                                                       www.sif.admin.ch                                                                                                                                                                                                    April 2012 
                                                                                                                                                                                                                                                                                                                        
                                                                                          
                                                                                         Questions and answers on the tax agreement with 
                                                                                         Germany and the United Kingdom 
                                                                                         Final withholding tax 
                                                                                         What is a final withholding tax? How does it work? 
                                                                                         A final withholding tax is a tax which has the effect of settling all claims. It is a tax levied at source at a flat rate and 
                                                                                         transferred to the tax authority of the partner state. The specific procedure is as follows: the Swiss bank deducts a 
                                                                                         flat-rate tax sum on existing assets from German respectively British clients (past) and on investment income and 
                                                                                         capital gains (future) respectively, and forwards this sum to the Swiss Federal Tax Administration (SFTA). The SFTA 
                                                                                         then transfers the tax to the German respectively British tax authorities. Once the tax has been levied, the tax liability 
                                                                                         is deemed to have been settled – hence the term final withholding tax. With this mechanism, bank clients can 
                                                                                         protect their privacy while the foreign tax authorities receive the tax payments they are legally entitled to. 
                                                                                         Regularisation of the past  
                                                                                         How does the regularisation of existing banking relationships work? 
                                                                                         Clients domiciled in Germany respectively the UK can opt for one of two different ways of regularising existing 
                                                                                         banking relationships in Switzerland (see figure on 
                                                                                         the right): 
                                                                                           They can pay a one-off flat-rate tax. The tax                                                                                                                                                                                                                                                                                     3 Options 
                                                                                                            amount is  determined on the basis of a 
                                                                                                            formula contained in the tax agreement. In 
                                                                                                            the case of Germany, this ranges from 21% 
                                                                                                            to 41% of the assets, in the UK's case this 
                                                                                                            ranges from 19% to 34%. Still outstanding tax                                                                                                                                                                          Voluntary                                                                              Anonymous                                                                              Close account 
                                                                                                            arrears will be settled by the one-off taxation                                                                                                                                                                         reporting                                                                       payment of tax 
                                                                                                            to regularise the past.   
                                                                                           They can disclose their banking relationship 
                                                                                                            in  Switzerland to the German respectively 
                                                                                                            British authorities. Disclosure means that the                                                                                                                                                                             Written                                                                       Bank levies tax 
                                                                                                            customers will be subject to retrospective                                                                                                                                                                      authorisation                                                                                      at source 
                                                                                                            taxation by their tax authorities on an 
                                                                                                            individual basis. 
                                                                                         Clients who decide not to regularise their                                                                                                                                                                                           Bank reports                                                                            Bank transfers 
                                                                                         position, i.e. clients who are unwilling to accept                                                                                                                                                                                            account                                                                        tax amount to 
                                                                                         either an  anonymous  payment of tax  or a                                                                                                                                                                                       information to                                                                                                SFTA 
                                                                                         voluntary reporting, must close their accounts or                                                                                                                                                                                                   SFTA 
                                                                                         custody accounts in Switzerland by the time the 
                                                                                         agreement comes into force. This will ensure that                                                                                                                                                                                    SFTA reports                                                                            SFTA transfers                                                                            Withdrawal to 
                                                                                         in future only tax-compliant assets are invested in                                                                                                                                                                                           account                                                                        tax amount to                                                                                third country 
                                                                                         Switzerland.                                                    The signatory states have  information to                                                                                                                                                                                                                      partner state                                                                                                 No 
                                                                                         endeavoured to set the tax rates in such a way                                                                                                                                                                                      partner state                                                                           Regularisation                                                                             Regularisation 
                                                                                         that tax equity is preserved and that tax offences                                                                                                                                                                               Regularisation 
                                                                                         are not rewarded after the event. 
                                                                                         How will clients be prevented from closing their accounts before the agreement enters into force so as to avoid 
                                                                                         paying tax? 
                                                                                         Because of the free movement of capital, clients cannot be prevented from closing their accounts early. However, 
                                                                                         the agreement reduces the incentives to evade taxation: 
                                                                                           Clients will miss the opportunity to regularise their untaxed assets and income once and for all and in doing so to 
                                                                                                            gain free legal access to their assets.  
                                                                                           Clients will also miss out on the advantages Switzerland offers as a financial centre (legal security, quality of 
                                                                                                                                                                                                                                                                                                                        
                                                                                                                                                                                                                                                                                                                        
                                                                                          
                                                                                                            service, currency stability, geographical location etc.). 
                                                                                           In the agreement, Switzerland also undertakes to provide the German respectively British authorities with 
                                                                                                            statistical information on the most important destination countries of clients who have terminated their bank 
                                                                                                            relationships in Switzerland. 
                                                                                         Swiss banks make an advance payment toward future tax revenues; this payment will be refunded to the banks if 
                                                                                         sufficient tax revenues are raised from clients. The prepayment amounts to CHF 2 billion in the case of Germany, CHF 
                                                                                         500 million in the case of the UK. 
                                                                                         Withholding tax for the future 
                                                                                         How does the withholding tax for the future work? 
                                                                                         After the Agreement enters into force, the client has two options (see figure). Either he makes an anonymous 
                                                                                         withholding tax payment or he reports to the German respectively British authorities. There will be no other way to 
                                                                                         open or maintain an account. 
                                                                                         The tax rates are aligned on the tax rates of Germany and the UK 
                                                                                         so as to avoid any distortion of competition regarding taxes. For                                                                                                                                                                                                                                                                                                       2 Options 
                                                                                         German taxpayers the uniform tax rate on investment income is 
                                                                                         26.375% in line with the current flat-rate withholding tax in 
                                                                                         Germany (25%, plus solidarity surcharge). For taxpayers in the UK 
                                                                                         the tax rate has been set between 27% and 48%, depending on the 
                                                                                         category of capital income. In addition, in the case of inheritances,                                                                                                                                                                                                                                                    Voluntary                                                                                Anonymous 
                                                                                         the same tax rate will be applied as in the state of origin (50% for                                                                                                                                                                                                                                                      reporting                                                                         payment of tax 
                                                                                         Germany and 40% for the UK). The goal is to maintain tax fairness 
                                                                                         and not to subsequently reward tax offences.  
                                                                                         How can implementation of the agreements be monitored?                                                                                                                                                                                                                                                                       Written                                                                                Bank levies      
                                                                                         Implementation of the agreements  by the Swiss banks will be                                                                                                                                                                                                                                                      authorisation                                                                                 tax at source 
                                                                                         periodically monitored by the Swiss authorities. This will be 
                                                                                         achieved by means of audits contractually laid down in the tax 
                                                                                         agreements. The law provides for penal sanctions in the event of 
                                                                                         the banks acting in breach of the rules.                                                                                                                                                                                                                                                                            Bank reports                                                                             Bank transfers 
                                                                                                                                                                                                                                                                                                                                                                                                                      account                                                                          tax amount to 
                                                                                         How can fresh untaxed funds be prevented from entering                                                                                                                                                                                                                                                          information to                                                                                                    FTA 
                                                                                         Switzerland?                                                                                                                                                                                                                                                                                                                         FTA 
                                                                                         It cannot be ruled out that taxpayers who have regularised their 
                                                                                         position could in due course deposit new untaxed funds in their                                                                                                                                                                                                                                                       FTA reports                                                                               FTA transfers 
                                                                                         Swiss accounts. As a safeguard, certain enquiries on the part of the                                                                                                                                                                                                                                                         account                                                                          tax amount to 
                                                                                         German respectively British authorities will therefore be possible                                                                                                                                                                                                                                              information to                                                                                  partner state 
                                                                                         in which the name of the client will be required.  Where the                                                                                                                                                                                                                                                       partner state                                                                           tax compliance 
                                                                                         taxpayer has an account or deposit, Switzerland shall provide the                                                                                                                                                                                                                                              tax compliance 
                                                                                         number of existing accounts. 
                                                                                         What impact will the agreement have on Swiss banking secrecy?  
                                                                                         Protecting the privacy of the banks' clients is and will remain one of the pillars of the Swiss financial sector. The 
                                                                                         agreements respect this requirement: only tax payments will be handed over to foreign tax authorities, not names of 
                                                                                         bank clients. Banking relationships will only be disclosed with the explicit consent of the person concerned. To this 
                                                                                         end, the agreements enable appropriate and substantial taxation without abandoning protection of clients' privacy. 
                                                                                         In short, in future the privacy of honest clients only will be protected. 
                                                                                         The two agreements 
                                                                                         What are the differences between the two agreements?  
                                                                                         The content of the two agreements is largely the same. The differences are due primarily to the different tax 
                                                                                         systems, and concern in particular the tax rates for future income and procedural arrangements. The UK agreement 
                                                                                         provides some special rules for resident non-domiciled persons. 
                                                                                         What are the next steps?  
                                                                                         The agreements require the approval of parliament in the countries involved, and should enter into force at the start 
                                                                                         of 2013. Switzerland is up to discuss this model with other interested countries. 
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...Federal department of finance fdf state secretariat for international financial matters sif www admin ch april questions and answers on the tax agreement with germany united kingdom final withholding what is a how does it work which has effect settling all claims levied at source flat rate transferred to authority partner specific procedure as follows swiss bank deducts sum existing assets from german respectively british clients past investment income capital gains future forwards this administration sfta then transfers authorities once been liability deemed have settled hence term mechanism can protect their privacy while foreign receive payments they are legally entitled regularisation banking relationships domiciled in uk opt one two different ways regularising switzerland see figure right pay off options amount determined basis formula contained case ranges s still outstanding voluntary anonymous close account arrears will be by taxation reporting payment regularise disclose relat...

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