St. Gallen Inheritance Tax Cases St. Gallen Inheritance Tax Cases

St. Gallen Inheritance Tax Cases

St. Gallen Inheritance Tax — Cases & Commentary (2025)

Last updated: 14 Nov 2025

St. Gallen Inheritance Tax — Cases & Commentary

Working case notes for the Canton of St. Gallen (Kanton St. Gallen) on situs, exemptions by relationship class, valuation at date of death, debt allocation, timing of gifts close to death, and filing mechanics. These concise abstracts are designed for practitioners. Use the copy buttons to paste into memos or client updates.

Service notice: Swiss inheritance tax services are delivered by Sesch TaxRep GmbH, Buchs SG (Switzerland).
SG-01 — Nonresident chalet; date-of-death valuation situsvaluationprocedure

Holding. For a decedent domiciled abroad, St. Gallen taxes SG-situs real estate (apartment/chalet) at date-of-death market value; foreign intangibles remained out of scope.

Reasoning. Situs follows immovable property location; intangibles follow domicile unless functionally tied to a SG permanent establishment.

Practice point. Attach land-register extract and independent appraisal; keep FX and methodology consistent with foreign filings.

SG-02 — Spousal/descendant relief vs. other heirs exemptionprocedure

Holding. Spouse/registered partner and direct descendants benefitted from statutory relief; unrelated beneficiaries taxed on their shares at progressive rates.

Reasoning. Rate classes determined by relationship; exemption/relief is applied before communal modifiers.

Practice point. Split bequests to favoured classes where appropriate and document civil status to substantiate relief.

SG-03 — Mortgage allocation to SG property debtsvaluationsitus

Holding. Only debts allocable to SG-situs property (e.g., property mortgage) reduced the SG base; general estate liabilities were excluded.

Reasoning. Functional nexus required between liability and SG asset; prevents double deduction inter-cantonally.

Practice point. Provide lender statements as of date of death; show direct linkage to the SG parcel.

SG-04 — Gifts close to death aggregated giftsexemptionprocedure

Holding. Substantial lifetime gifts made shortly before death were considered in assessing beneficiary burden; anti-avoidance rationale applied.

Reasoning. Prevents circumvention of class-based burdens; timing and intent reviewed.

Practice point. Document gift dates/values; expect queries if material transfers occurred within the look-back window.

SG-05 — Minority discount on closely-held shares valuationprocedure

Holding. A defensible minority/illiquidity discount was accepted for a non-listed shareholding based on an independent expert report.

Reasoning. Fair market value standard at date of death; discount justified by lack of control/marketability.

Practice point. Commission a valuation report aligned with Swiss practice; reconcile to foreign estate values to avoid mismatches.

SG-06 — Limited filing for nonresident estate proceduresitus

Holding. Where probate proceeded abroad, a limited SG return covering only SG-situs assets was sufficient; foreign assessments served as context for credits.

Reasoning. Inter-cantonal/foreign coordination to prevent double taxation; SG jurisdiction tied to situs assets.

Practice point. Include foreign assessment letters and payment proofs when claiming relief.

Related pages: Forms & Deadlines · Nonresident Guide · Planning · Calculator · Service Packages (Sesch TaxRep GmbH)

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