
Flourishing business
Bring your company to full bloom. We can show you efficient strategies to position yourself for success on the market.
Bring your company to full bloom. We can show you efficient strategies to position yourself for success on the market.
Plant a cherry seed in the right conditions and you will reap the fruits of success. We will give your company the fertile ground it needs to thrive.
We will accompany you through each phase of your company's development so you continue to harvest the returns over the long term.
We will provide you with comprehensive and competent support engrained in a spirit of partnership. So your company tree will continue to bear fruit for many years to come.
It is not only cherry trees that thrive in the Canton of Zug. We also have the optimal conditions to cultivate your economic growth.
We are always thinking one step ahead and will show you solutions to new challenges. So your company tree will flourish year after year.
In order for a delicate sampling to grow into a proud tree, it needs strong roots. We can provide you with customized advice on all strategic issues.
We increasingly receive enquiries from companies or boards of directors due to withholding tax claims by the Swiss Federal Tax Authority (FTA). On the one hand, this has to do with there still being insufficient awareness of tax obligations in the area of withholding tax; on the other hand, claims are mostly high due to the 35% withholding tax. The cantonal tax authorities report adjustments for legal entities to the FTA, with the result that there are further claims made to shareholders by the FTA. In addition, there are often also legitimate concerns due to liability of the board of directors or the liquidator due to Art. 15 of the Federal Withholding Tax Law (VStG) with regard to claims made to legal entities by the FTA. As part of a team with a specialist lawyer for formal legal and liability matters relating to company bodies as well as a tax expert, we analyse your situation and support you in your line of reasoning regarding any claims by tax administration, with the aim of safeguarding your interests vis-à-vis the FTA.