Uri Inheritance Tax Guide Cases Uri Inheritance Tax Guide Cases

Uri Inheritance Tax Cases

Uri Inheritance Tax — Cases & Illustrative Scenarios (2025)

Last updated: 15 Nov 2025

Uri Inheritance Tax — Cases & Illustrative Scenarios

Concise case‑style notes and practical hypotheticals on Uri’s inheritance tax (Erbschaftssteuer): situs for nonresidents, valuation, exemptions, and allocation across heirs. These examples help you anticipate how the tax office may approach typical fact patterns.

Service notice: Swiss inheritance tax services are delivered by Sesch TaxRep GmbH, Buchs SG (Switzerland).
How to read these notes. We provide short, de‑identified outlines (or hypotheticals) that highlight recurring issues. For binding positions, consult official decisions or contact the cantonal tax administration.

Case 1 — Nonresident with Uri rental house

Facts. Decedent domiciled abroad owns a rented house in Uri; bank accounts and portfolio held outside Switzerland.

Issue. Whether Uri may tax the property and require a local inheritance‑tax return.

Takeaway. Yes for the real estate as Uri‑situs property; intangibles abroad are typically outside the Uri base. Keep valuation, rental statements and land‑register extract ready.

Case 2 — Artwork stored in Uri

Facts. Nonresident decedent stores movable artworks in a Uri facility.

Issue. Are the artworks Uri‑situs and taxable?

Takeaway. Tangible movables physically present in the canton are generally included; keep storage contracts and inventory to support (or challenge) location and valuation.

Case 3 — Partner vs. descendants

Facts. Substantial bequest to a long‑term, non‑registered partner; children receive the residue.

Issue. How to reflect exemptions/preferences for descendants and potential taxation of the partner’s share.

Takeaway. Model the partner’s portion as taxable at an assumed class‑based rate; descendants may benefit from broad relief. Clean documentation on relationship status and allocations is crucial.

Case 4 — Business interest with facility in Uri

Facts. Decedent holds shares in a company operating a fixed facility in Uri.

Issue. Potential allocation of value to Uri‑situs due to functional nexus.

Takeaway. Expect allocation where local operations and records tie assets to the canton; provide detailed financials and valuation methods.

Practical Notes

  • Valuation date: Fair market value at date of death; independent appraisals help withstand scrutiny.
  • Debt allocation: Only debts tied to Uri‑situs assets typically reduce the local base for nonresidents.
  • Inter‑cantonal coordination: Avoids double taxation when multiple cantons are involved.
  • Extensions & instalments: Request in writing before due dates; maintain approvals.

For case‑specific modelling, try the Uri Inheritance Tax Calculator or book a fixed‑fee consult.

Related pages: Forms & Deadlines · Nonresident Guide · Planning · Calculator · Uri Hub