Rolf Wüthrich
Attorney, LL.M., Certified Tax Expert
- German
- English
- French
- Swiss administrative assistance in tax matters increasingly affecting companies
- Thorny questions in the transfer of branches in Switzerland
- Applying Swiss interest rates to advances or loans in 2022
- Switzerland updates tax ruling procedures
- Switzerland’s new rules on mutual agreement procedures seeks to ensure legal certainty
- Recapitalisations raise tax issues in Switzerland
- Switzerland implements the Global Forum’s transparency recommendations
- Applying Swiss interest rates to advances or loans in 2022
- Abolition of issuance stamp duty on equity partially strengthens Swiss business location
- Switzerland steps up CRS implementation
- Switzerland to strengthen its position as a bond and intragroup financing location
- Switzerland on track with implementation of AEOI
- Intragroup arrangements - Swiss subsidiaries to face stricter limitations
- The Swiss construction site: Aligning tax law with international standards
- Swiss tax avoidance practices in M&A transactions
- Konzerninterne Handelsbox als System zur Vermeidung der Doppelbesteuerung im Konzern
- Taxation of option rigths granted to shareholders
- Pitfalls leading to creation of tax liability in Switzerland
- Corporate immigration into Switzerland
- Rejuvenating international tax competition
- New Swiss rules on taxation of employee participation plans
- Post acquisition measures to reorganise an acquired structure
- Worldwide Transfer Pricing Update - Swiss update
- Stolpersteine - Antworten auf die wichtigsten finanziellen und rechtlichen Fragen im Alter
- Introduction to the Swiss tax system
- Contributed capital challenges cross-border work
- Cross-border post-acquisition possibilities under Swiss tax law
- Tax developments in the Swiss M&A market
- Decision on exchange differences causes uncertainty
- How collective investment schemes are taxed
- Tax incentives for manufacturing
- US-Staatsangehörigkeit – steuerrechtliches Damoklesschwert
- Source and residence – new configuration of their principles
- Federal Tax Administration Circular regarding Taxation of Service Companies
- Tax developments in the canton of Geneva: Tax credits versus social allowances
- Foreign tax credit modifications, Foreign tax credit modifications
- Taxation and the European Convention on Human Rights in the domestic law of the Council of Europe Countries
Rolf‘s areas of expertise are national and international tax planning, corporate restructuring and acquisition, commercial and contract law and corporate secretarial services.
From 2001 to 2010 he practised with an international law firm where he advised small and medium enterprises, groups of companies and private clients on national and international tax planning and implemented restructurings and transactions. As an active member of international professional bodies, Rolf has a strong global network of personal contacts (including both lawyers and tax experts) with whom he works closely to provide accurate and accessible multi-jurisdictional advice.
Rolf studied law at the University of Bern (admission to the bar in 1998). From 1999 to 2001 he worked with the International Bureau of Fiscal Documentation IBFD in Amsterdam. He also obtained a degree from the University of Leiden (LL.M. 2001, International Tax Centre), specialising in international tax law. Three years later he qualified as a Certified Tax Expert.