What does the new patent box tax regime mean for your IP (and R&D) strategy?

Switzerland is preparing a major corporate tax law change to comply with the new OECD international tax practice recommendations (BEPS Action 5) [Update: Swiss Parliament voted the new law in June 2016 , but finally the law was not accepted by the Swiss citizens consulted by referendum in February 2017. A new tax reform in currently back in the legislative agenda, which will take a few more years. The content of this article is therefore obsolete.]

The former tax rulings regimes which were quite opaque and only accessible to multinationals will be abandoned in favour of a more transparent system, that will be more beneficial to local SMEs and corporations with active R&D in Switzerland, in particular through a couple of measures:

  1. A Swiss patent box, for optimising tax on benefits which can be bound to certain qualifying IP, such as patents and equivalent rights if substantial activities, i.e. local R&D expenditures, are effectively carried out by the taxpayer (here, Switzerland is aligning to the OECD rules, incl. the NEXUS ratio)
  2. R&D investment deduction incentives, for optimising R&D investments and thus encouraging innovation.

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IEEPI trainings now also in Switzerland

IPStudies is pleased to announce that starting from 2014, IEEPI will offer several of its leading trainings in IP management and licensing now also in Switzerland. Next session will be held on March 13th in Lausanne, animated by Leman Consulting (introductory course, in French). Further training sessions will be given by Corinne Le Buhan from IPStudies in Bern in Fall 2014.

Read more and register here!