SUMMARY RESIDENT PERSON ACTIVE TRADE OR BUSINESS TEST The person is engaged in the active conduct of a trade or business in CH The income derived by this person from USA is not derived in connection with the business activities carried on in CH The income derived from USA is incidental to the trade or business in Switzerland TRIANGULAR CASES The Swiss resident partnership derives income from USA which is attributable to a permanent establishment in a third jurisdiction The total tax liability in CH and the third jurisdiction is 60% or more of the tax liability that would have been payable in CH, if the income was earned in CH by the enterprise and were not attributable to the permanent establishment in the third jurisdiction Under these circumstances treaty protection is granted
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