Dividend tax for Switzerland investors
If you're a Switzerland resident receiving dividends from a company domiciled abroad, the payer country typically withholds tax at source. A bilateral tax treaty usually lowers that rate below the statutory ceiling. Below, we show what's cited from a primary source — and flag every cell where a rate is still pending verification.
Estimate your withholding on cross-border dividends
Treaty rate for this country pair has not been verified yet from a primary source. The statutory non-treaty rate is shown as an upper-bound reference only — your actual rate depends on the bilateral tax treaty in force. Please consult a qualified tax professional for your specific situation.
Until verified, we show the payer-country statutory non-treaty rate as an upper-bound estimate.
Estimates for educational purposes only. Tax rules change; consult a qualified tax professional for your specific situation. Dividend-tax treatment depends on holding period, account type (taxable vs. retirement), investor type (individual vs. pension vs. mutual fund), limitation-on-benefits tests, and other factors not modeled here.
Resident tax treatment
Treaty rates for Switzerland investors
3 of 20 payer countries have a verified treaty rate cited below. The rest ship as “data pending verification” — never fabricated.
| Company domiciled in | Treaty WHT | Statutory |
|---|---|---|
| Australiapending | — | 30% |
| Belgiumpending | — | 30% |
| Canadapending | — | 25% |
| Denmarkpending | — | 27% |
| Finlandpending | — | 30% |
| Francepending | — | 25% |
| Germanypending | — | 26.375% |
| Irelandpending | — | 25% |
| Italypending | — | 26% |
| Japanpending | — | 20.42% |
| Luxembourgpending | — | 15% |
| Netherlandspending | — | 15% |
| New Zealandpending | — | 30% |
| Norwaypending | — | 25% |
| Singapore Singapore domestic tax law — no WHT on dividends | 0% | 0% |
| Spainpending | — | 19% |
| Swedenpending | — | 30% |
| Switzerland Domestic — no cross-border withholding (statutory 35% still applies domestically but is fully creditable) | 0% | 35% |
| United Kingdom UK domestic tax law — no WHT on ordinary portfolio dividends to non-residents | 0% | 0% |
| United Statespending | — | 30% |
Show citations for verified rates
- Singapore: IRAS: one-tier systemSingapore one-tier corporate tax system.
- Switzerland: Swiss Verrechnungssteuer (Verrechnungssteuergesetz): Swiss residents recover the full 35% statutory WHT on their tax return; effective cross-border withholding scenario does not applyNot a cross-border scenario. Swiss residents receive full credit of the 35% domestic WHT on their tax return — see resident_note.
- United Kingdom: HMRC guidance0% UK withholding on ordinary portfolio dividends. UK REIT PIDs are a 20% exception.
Next steps
- For the exact rate in your case, consult a qualified tax professional — published treaty rates assume proper documentation and standard portfolio ownership.
- If you invest through a broker, ask whether they apply treaty relief at source or require you to reclaim later via tax refund.
- Your residence country may offer a Foreign Tax Credit that offsets the withheld amount against your domestic tax bill, up to the treaty rate.
Related
Estimates for educational purposes only. Tax rules change; consult a qualified tax professional for your specific situation. Sources cited above were current as of 2026-04-27. Not investment advice.