mirror of
https://github.com/nhammer514/textfiles-politics.git
synced 2024-12-30 09:46:18 -05:00
309 lines
16 KiB
Plaintext
309 lines
16 KiB
Plaintext
|
|
|
|
ASSET PROTECTION USING SWISS ANNUITIES
|
|
|
|
Growing the wealth is important, but so is
|
|
protecting it from false claimants, and Switzerland
|
|
excels at this. Almost anybody with wealth in the U.S.
|
|
is at risk, as discussed in the early sections of
|
|
this report. With everything that can happen to
|
|
savings, it is nice to know that there is something,
|
|
somewhere, nobody can touch.
|
|
|
|
According to Swiss law, insurance policies --
|
|
including annuity contracts -- cannot be seized by
|
|
creditors. They also cannot be included in a Swiss
|
|
bankruptcy procedure. Even if an American court
|
|
expressly orders the seizure of a Swiss annuity account
|
|
or its inclusion in a bankruptcy estate, the account
|
|
will not be seized by Swiss authorities, provided that
|
|
it has been structured the right way.
|
|
|
|
There are two requirements: A U. S. resident who
|
|
buys a life insurance policy from a Swiss insurance
|
|
company must designate his or her spouse or
|
|
descendants, or a third party (if done so irrevocably)
|
|
as beneficiaries. Also, to avoid suspicion of making a
|
|
fraudulent conveyance to avoid a specific judgment,
|
|
under Swiss law, the person must have purchased the
|
|
policy or designated the beneficiaries not less than
|
|
six months before any bankruptcy decree or collection
|
|
process.
|
|
|
|
The policyholder can also protect the policy by
|
|
converting a designation of spouse or children into an
|
|
irrevocable designation when he becomes aware of the
|
|
fact that his creditors will seize his assets and that
|
|
a court might compel him to repatriate the funds in the
|
|
insurance policy. If he is subsequently ordered to
|
|
revoke the designation of the beneficiary and to
|
|
liquidate the policy he will not be able to do so as
|
|
the insurance company will not accept his instructions
|
|
because of the irrevocable designation of the
|
|
beneficiaries.
|
|
|
|
Article 81 of the Swiss insurance law provides
|
|
that if a policyholder has made a revocable designation
|
|
of spouse or children as beneficiaries, they
|
|
automatically become policyholders and acquire all
|
|
rights if the policyholder is declared bankrupt. In
|
|
such a case the original policyholder therefore
|
|
automatically loses control over the policy and also
|
|
his right to demand the liquidation of the policy and
|
|
the repatriation of funds. A court therefore cannot
|
|
compel the policyholder to liquidate the policy or
|
|
otherwise repatriate his funds. If the spouse or
|
|
children notify the insurance company of the
|
|
bankruptcy, the insurance company will note that in its
|
|
records. Even if the original policyholder sends
|
|
instructions because a court has ordered him to do so,
|
|
the insurance company will ignore those instructions.
|
|
It is important that the company be notified promptly
|
|
of the bankruptcy, so that they do not inadvertently
|
|
follow the original policyholder's instructions because
|
|
they weren't told of the bankruptcy.
|
|
|
|
If the policyholder has designated his spouse or
|
|
his children as beneficiaries of the insurance policy,
|
|
the insurance policy is protected from his creditors
|
|
regardless of whether the designation is revocable or
|
|
irrevocable. The policyholder may therefore designate
|
|
his spouse or children as beneficiaries on a revocable
|
|
basis and revoke this designation before the policy
|
|
expires if at such time there is no threat from any
|
|
creditors.
|
|
|
|
These laws are part of fundamental Swiss law.
|
|
They were not created to make Switzerland an asset
|
|
protection haven. There is a current fad of various
|
|
offshore islands passing special legislation allowing
|
|
the creation of asset protection trusts for foreigners.
|
|
Since they are not part of the fundamental legal
|
|
structure of the country concerned, local legislators
|
|
really don't care if they work or not. And since most
|
|
of these trusts are simply used as a convenient legal
|
|
title to assets that are left in the U.S., such as
|
|
brokerage accounts, houses, or office buildings, it is
|
|
very easy for an American court to simply call the
|
|
trust a sham to defraud creditors and ignore its legal
|
|
title -- seizing the assets that are within the
|
|
physical jurisdiction of the court.
|
|
|
|
Such flimsy structures, providing only a thin
|
|
legal screen to the title to American property, are
|
|
quite different from real assets being solely under the
|
|
control of a rock-solid insurance company in a major
|
|
industrialized country. A defendant trying to convince
|
|
an American court that his local brokerage account is
|
|
really owned by a trust represented by a brass-plate
|
|
under a palm tree on a faraway island is not likely to
|
|
be successful -- more likely the court will simply
|
|
seize the asset.
|
|
|
|
But with the Swiss annuity, the insurance policy
|
|
is not being protected by the Swiss courts and
|
|
government because of any especial concern for the
|
|
American investor, but because the principle of
|
|
protection of insurance policies is a fundamental part
|
|
of Swiss law -- for the protection of the Swiss
|
|
themselves. Insurance is for the family, not something
|
|
to be taken by creditors or other claimants. No Swiss
|
|
lawyer would even waste his time bringing such a case.
|
|
|
|
Swiss annuities minimize the risk posed by U. S.
|
|
annuities. They are heavily regulated, unlike in the
|
|
U.S., to avoid any potential funding problem. They
|
|
denominate accounts in the strong Swiss franc, compared
|
|
to the weakening dollar. And the annuity payout is
|
|
guaranteed.
|
|
|
|
Swiss annuities are exempt from the famous 35%
|
|
withholding tax imposed by Switzerland on bank account
|
|
interest received by foreigners. Annuities do not have
|
|
to be reported to Swiss or U.S. tax authorities.
|
|
|
|
A U.S. purchaser of an annuity is required to pay
|
|
a 1% U.S. federal excise tax on the purchase of any
|
|
policy from a foreign company. This is much like the
|
|
sales tax rule that says that if a person shops in a
|
|
different state, with a lower sales tax than their home
|
|
state, when they get home they are required to mail a
|
|
check to their home state's sales tax department for
|
|
the difference in sales tax rates.
|
|
|
|
The U.S. federal excise tax form (IRS Form 720)
|
|
does not ask for details of the policy bought or who it
|
|
was bought from -- it merely asks for a calculation of
|
|
1% tax of any foreign policies purchased. This is a
|
|
one time tax at the time of purchase; it is not an
|
|
ongoing tax. It is the responsibility of the U. S.
|
|
taxpayer, to report the Swiss annuity or other foreign
|
|
insurance policy. Swiss insurance companies do not
|
|
report anything to any government agency, Swiss or
|
|
American -- not the initial purchase of the policy, nor
|
|
the payments into it, nor interest and dividends
|
|
earned.
|
|
|
|
Special Advantages of Swiss Annuities
|
|
* They Pay Competitive Dividends and Interest.
|
|
* No foreign reporting requirements. A swiss
|
|
franc annuity is not a "foreign bank account," subject
|
|
to the reporting requirements on the IRS Form 1040 or
|
|
the special U. S. Treasury form for reporting foreign
|
|
accounts. Transfers of funds by check or wire are not
|
|
reportable under U. S. law by individuals -- the
|
|
reporting requirements apply only to cash and "cash
|
|
equivalents" -- such as money orders, cashier's checks,
|
|
and travellers' checks.
|
|
* No forced repatriation of funds. If America
|
|
were to eventually institute exchange controls, the
|
|
government might require that most overseas investments
|
|
be repatriated to America. This has been a common
|
|
requirement by most governments that have imposed
|
|
exchange controls. Insurance policies, however, would
|
|
likely escape any forced repatriation under future
|
|
exchange controls, because they are a pending contract
|
|
between the investor and the insurance company. Swiss
|
|
bank accounts would probably not escape such controls.
|
|
(To the bureaucrats writing such regulations, an
|
|
insurance policy is a commodity already bought, rather
|
|
than an investment.)
|
|
* Instant liquidity. With the Swiss Plus plan,
|
|
described later, an investor can liquidate up to 100%
|
|
of the account without penalty (except for a SFr500
|
|
charge during the first year.)
|
|
* Swiss safety. As already discussed, Switzerland
|
|
has the world's strongest insurance industry, with no
|
|
failures in 130 years.
|
|
* No Swiss tax. If an investor accumulates Swiss
|
|
francs through standard investments, he will be subject
|
|
to the 35% withholding tax on interest or dividends
|
|
earned in Switzerland. Swiss franc annuities are free
|
|
of this tax. In the U. S., insurance proceeds are not
|
|
taxed. And earnings on annuities during the deferral
|
|
period are not taxable until income is paid, or when
|
|
they are liquidated.
|
|
* Convenience. Sending deposits to Switzerland is
|
|
no more difficult than mailing an insurance premium in
|
|
the United States. A personal check in U. S. dollars
|
|
is written and sent overseas (50 postage instead of
|
|
29 ). Funds can also be transferred by bank wire.
|
|
* Qualified for U.S. Pension Plans. Swiss
|
|
annuities can be placed in a U. S. tax-sheltered
|
|
pension plans, such as IRA, Keogh, or corporate plans,
|
|
or such a plan can be rolled over into a Swiss-annuity.
|
|
(To put a Swiss annuity in a U.S. pension plan, all
|
|
that is required is a U.S. trustee, such as a bank or
|
|
other institution, and that the annuity contract be
|
|
held in the U.S. by that trustee. Many banks offer
|
|
"self-directed" pension plans for a very small annual
|
|
administration fee, and these plans can easily be used
|
|
for this purpose.)
|
|
* No Load Fees. Investment in Swiss annuities is
|
|
on a "no load" basis, front-end or back-end. The
|
|
investments can be canceled at any time, without a loss
|
|
of principal, and with all principal, interest and
|
|
dividends payable if canceled after one year. (If
|
|
canceled in the first year, there is a small penalty of
|
|
about 500 Swiss francs, plus loss of interest.)
|
|
|
|
Swiss Plus
|
|
A new Swiss annuity product (first offered in
|
|
1991), SWISS PLUS, brings together the benefits of
|
|
Swiss bank accounts and Swiss deferred annuities,
|
|
without the drawbacks -- presenting the best Swiss
|
|
investment advantages for American investors.
|
|
|
|
SWISS PLUS, is a convertible annuity account,
|
|
offered only by Elvia Life of Geneva. Elvia Life is a
|
|
$2 billion strong company, serving 220,000 clients, of
|
|
which 57% are living in Switzerland and 43% abroad.
|
|
The account can be denominated in the Swiss franc, the
|
|
U.S. dollar, the German mark, or the ECU (European
|
|
Currency Unit), and the investor can switch at any time
|
|
from one to another. Or an investor can diversify the
|
|
account by investing in more than one currency, and
|
|
still change the currency at any time during the
|
|
accumulation period -- up until beginning to receive
|
|
income or withdrawing the capital.
|
|
|
|
Although called an annuity, SWISS PLUS acts more
|
|
like a savings account than a deferred annuity. But it
|
|
is operated under an insurance company's umbrella, so
|
|
that it conforms to the IRS' definition of an annuity,
|
|
and as such, compounds tax-free until it is liquidated
|
|
or converted into an income annuity later on.
|
|
|
|
SWISS PLUS accounts earn approximately the same
|
|
return as long-term government bonds in the same
|
|
currency the account is denominated in (European
|
|
Community bonds in the case of the ECU), less a half-
|
|
percent management fee.
|
|
|
|
Interest and dividend income are guaranteed by a
|
|
Swiss insurance company. Swiss government regulations
|
|
protect investors against either under-performance or
|
|
overcharging.
|
|
|
|
SWISS PLUS offers instant liquidity, a rarity in
|
|
annuities. All capital, plus all accumulated interest
|
|
and dividends, can be freely accessible after the first
|
|
year. During the first year 100% of the principal is
|
|
freely accessible, less a SFr500 fee, and loss of the
|
|
interest. So if all funds are needed quickly, either
|
|
for an emergency or for another investment, there is no
|
|
"lock-in" period as there is with most American
|
|
annuities.
|
|
|
|
Upon maturity of the account, the investor can
|
|
choose between a lump sum payout (paying capital gains
|
|
tax on accumulated earnings only), rolling the funds
|
|
into an income annuity (paying capital gains taxes only
|
|
as future income payments are received, and then only
|
|
on the portion representing accumulated earnings), or
|
|
extend the scheduled term by giving notice in advance
|
|
of the originally scheduled date (and continue to defer
|
|
tax on accumulated earnings).
|
|
|
|
Contact Information
|
|
The only way for North Americans to get
|
|
information on Swiss annuities is to send a letter to a
|
|
Swiss insurance broker. This is because very few
|
|
transactions can be concluded directly by foreigners
|
|
either with a Swiss insurance company or with regular
|
|
Swiss insurance agents.
|
|
|
|
When you contact a Swiss insurance broker, be sure
|
|
to include, in addition to your name, address, and
|
|
telephone number, your date of birth, marital status,
|
|
citizenship, number of children and their ages, name of
|
|
spouse, a clear definition of your financial objectives
|
|
(possibly on what dollar amount you would like to
|
|
invest), and whether the information is for a
|
|
corporation or an individual, or both.
|
|
|
|
So far one firm specializes in dealing with
|
|
English speaking investors, and everybody in the firm
|
|
speaks excellent English. They are also familiar with
|
|
U. S. laws affecting the purchase of Swiss annuities.
|
|
|
|
Contact:
|
|
|
|
Mr. Jurg Lattmann.
|
|
JML Swiss Investment Counsellors AG, Dept. 212,
|
|
Germaniastrasse 55
|
|
8031 Zurich
|
|
Switzerland
|
|
telephone (41-1) 363-2510
|
|
fax: (41-1) 361-074, attn: Dept. 212
|
|
|
|
A Swiss annuity for a portion of your assets can
|
|
add a useful pillar to your overall protection plan,
|
|
because it is something completely separate from your
|
|
structure of family limited partnerships and living
|
|
trusts, and has its own independent set of protective
|
|
rules. It also adds an extremely important
|
|
diversification into a "hard money" asset.
|
|
|
|
|