In brief

A recent decision of the Swiss Federal Supreme Court (9C_492/2025, 5 August 2026) confirms that transfer pricing (TP) adjustments can have significant VAT consequences. While the case concerned a Swiss captive insurance company, its implications extend beyond captives to businesses with limited input VAT recovery, including banks, asset managers, fund structures, and treasury companies.

Download the full alert of Switzerland: Indirect Tax.

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