3 Mar 2026|Wealth Preservation, Foundations Liechtenstein
The international taxation of athletes, artists and other high-profile individuals offers scope for structuring, particularly in separating personal appearance and performance income, on the one hand, from income derived from the exploitation of intangible rights — especially image rights — on the other. At the same time, practice and case law make one point unmistakably clear: only arrangements that are substantively justified, carefully documented and valued on an arm’s length basis will withstand tax scrutiny.