What Is the Swiss 2nd Pillar? Your Complete Guide to Occupational Pensions

Are you planning for retirement in Switzerland or moving abroad?

The Swiss 2nd pillar is likely your largest financial asset, yet it remains one of the most misunderstood aspects of Swiss wealth management.

From tax-saving buy-ins to the complexities of withdrawing funds when moving to countries like Spain, understanding this pillar is key to securing your financial future.

Discover how to optimise your pension potential and avoid costly pitfalls.

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Table of Contents

Introduction

Switzerland’s pension system is renowned for its stability, built on a robust three-pillar model aimed at ensuring financial security in retirement. To understand where the 2nd pillar fits, it is helpful to view the system as a whole:

 

  • 1st Pillar (AHV/AVS): The state pension covering basic needs. It is mandatory for nearly everyone living or working in Switzerland. (Read more in our guide: How Does the Swiss Pension System Work?)

  • 2nd Pillar (BVG/LPP): The occupational pension, mandatory for employees meeting specific income thresholds.

  • 3rd Pillar: Private voluntary savings, often used to bridge gaps in coverage. (See our Ultimate Guide to Pillar 3a).

 

The Swiss 2nd pillar is specifically designed to maintain your standard of living in retirement by supplementing the state pension. Together, the 1st and 2nd pillars aim to replace approximately 60–70% of your last salary as retirement income.

What You Will Learn

  • The Basics: How the Swiss 2nd pillar (BVG/LPP) fits into the three-pillar system.
  • Contributions & Benefits: The difference between mandatory and extra-mandatory savings.
  • Strategic Withdrawals: When you can access your cash early (e.g., property, self-employment).
  • Tax Implications: How withdrawals are taxed in Switzerland versus abroad.
  • Case Study: A real-world look at the “tax trap” when retiring to Spain.
  • Expert FAQs: Answers to the most common questions our clients ask.

Structure of the Swiss 2nd Pillar

The occupational pension is not a “one-size-fits-all” pot. It is divided into two distinct segments, which becomes crucial when planning a departure from Switzerland:

Mandatory vs Extra-Mandatory (Voluntary)

Mandatory Portion: This is the minimum coverage defined by law (BVG/LPP) for employees earning above the entry threshold (approx. CHF 22,680 per year as of 2026). Contributions are shared roughly 50/50 between employer and employee.

Extra-Mandatory Portion: These are additional benefits offered by many pension funds above the legal minimum. They may include higher contribution rates, better conversion rates, or superior disability coverage.

How Contributions Work

Employees and employers contribute regularly to a pension fund. These funds are invested, generating returns over time. Upon retirement, this capital becomes available as a pension (annuity), a lump sum, or a combination of both, depending on the specific fund’s regulations.

Swiss 2nd Pillar and Vested Benefits Accounts (Freizügigkeit)

If you leave an employer, for example, to change jobs or move abroad, you do not lose your accrued pension assets.

Instead, they are transferred to a vested benefits account with a bank or insurance provider.

This account acts as a “parking bay,” preserving your pension capital until you retire or trigger another legally allowed withdrawal event.

Accessing Your Benefits: Annuity vs Lump Sum

Upon reaching retirement age, you typically have three options for accessing your Swiss 2nd pillar assets:

  1. Annuity (Monthly Pension): A lifelong monthly payment calculated using a conversion rate on your accumulated capital.
  2. Lump-Sum Payment: Withdrawing all or part of your capital as cash.
  3. Combination: Taking a partial lump sum while converting the remainder into a smaller monthly pension.

 

Important Note: You typically must choose your preferred method in writing well ahead of your retirement date (often 1–3 years in advance). Once made, this decision is generally irreversible.

Early Retirement: Many funds allow retirement as early as age 58. However, this usually results in lower benefits due to a reduced conversion rate and a shorter accumulation period.

Early Withdrawal: Accessing the Swiss 2nd Pillar Before Retirement

Swiss law is strict about preserving pension assets, but early access is permitted in specific scenarios.

Purchasing a Primary Residence

You can withdraw capital or pledge it as collateral to finance the purchase, construction, or mortgage repayment of your primary home.

Alternatively, you can pledge the pension capital to a bank as collateral, without actual withdrawal.

Constraint: The property must be your principal residence, not a holiday home or investment property.

Permanent Departure from Switzerland

This is a key area for expats (see our Moving from UK to Switzerland Roadmap for the reverse journey).

  • Moving to a Non-EU/EFTA Country: You can generally withdraw your entire 2nd pillar capital.

  • Moving to an EU/EFTA Country: If you move to a country with a social security agreement (like France or Spain), you typically cannot withdraw the mandatory portion in cash; it must remain in a vested benefits account until retirement age. However, the extra-mandatory portion is usually withdrawable.

Becoming Self-Employed

If you leave salaried employment to become self-employed (and thus no longer in a mandatory occupational pension scheme), you can request a withdrawal within one year of starting your self-employed activity.

Proof of trade registration and tax status is required.

Small Amounts

If your accrued vested benefit is smaller than your own annual contribution would be, you may withdraw it early.

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Do You Need Help With Your Pillar 2a?

Taxation on 2nd pillar withdrawals

The General Rule in Switzerland

Lump-sum withdrawals are not taxed as regular income. Instead, they are subject to a special capital benefits tax.

  • Separate: It is calculated separately from your salary or other income.

  • Preferential Rate: Typically roughly 1/5 of the normal income tax rate (varying significantly by canton).

  • Collection: Collected by the canton of residence at the time of withdrawal. If you live abroad, it is withheld at source.

How much tax?

The tax depends on:

  • Cantonal tax rates, which vary widely between cantons.
  • Amount withdrawn, larger sums are subject to higher effective rates within the capital benefits scale.

 

For example, withdrawing CHF 500,000 can lead to around 8–9% tax in some cantons, but substantially less in low-tax cantons. Strategizing the timing and place of withdrawal can affect the tax bill.

Voluntary contributions (buy-ins) are usually tax-deductible, but you must avoid withdrawing capital within 3 years of making a buy-in, or the tax deduction may be reversed.

Other key considerations

Pension division on divorce

Under Swiss law, 2nd pillar assets accumulated during marriage are generally split equally between spouses when a divorce occurs.

This includes vested benefits accrued during the marriage, regardless of contribution history.

Risks of early withdrawal

Reduced retirement income: Taking capital earlier can reduce long-term pension security.

Loss of insurance coverage: Disability and survivors’ benefits tied to the pension fund may decrease.

Fees and Investment Options

Some pension funds charge relatively high administrative or investment fees, which can affect long-term growth.

Private vested benefits providers sometimes offer more flexible investment choices, but fees and conditions still vary significantly (real-world practices differ).

Taxation of 2nd pillar withdrawals when you are tax-resident abroad (Example: Spain)

One of the most complex areas of Swiss wealth management is the taxation of withdrawals for those who have already left Switzerland. This is particularly relevant for those Moving to Spain from Switzerland.

The Two-Layer Mechanism

When a lump-sum withdrawal of the 2nd pillar is made while the beneficiary is tax resident outside Switzerland, the taxation typically works in two layers:

  1. Swiss withholding tax (source tax)
    • The Swiss pension institution withholds a capital benefits tax at source. The tax rate depends on:
      • The canton where the pension institution is domiciled (not the canton of former residence).
      • The amount withdrawn.
    • This tax is final in Switzerland, unless a double taxation treaty allows a refund.
    • Essentially: The Swiss institution withholds tax at source. The rate depends on the canton where the foundation is domiciled (e.g., Schwyz is famously low), not your former canton of residence.

  2. Taxation in the country of tax residence
    • The country where the individual is tax resident (e.g. Spain) generally has the primary right to tax pension income.
    • The Swiss withholding tax may be:
      • Credited,
      • Reclaimed,
      • Or fully refunded, depending on the applicable double taxation agreement (DTA).
    • Essentially: Your new country of residence (e.g., Spain) usually has the primary right to tax this income.

The Switzerland-Spain double taxation treaty

Under the double taxation agreement between Switzerland and Spain, occupational pensions (including lump-sum withdrawals from the 2nd pillar) are, as a rule:

Taxable exclusively in the country of tax residence, i.e. Spain, not Switzerland.

This means that:

  • Switzerland should not ultimately tax the 2nd pillar withdrawal.
  • Any Swiss withholding tax deducted at source can, in principle, be reclaimed from the Swiss tax authorities.

 

However, in practice:

  • Swiss pension funds are legally obliged to withhold tax at source.
  • The taxpayer must actively request a refund from the competent Swiss cantonal tax authority.

Taxation of the 2nd pillar in Spain (as an example)

From a Spanish tax perspective:

  • Lump-sum withdrawals from foreign occupational pensions are generally treated as employment income (up to roughly 50%).
  • They are included in the general income tax base, not the savings base.
  • Taxation follows progressive income tax rates, which depend on:
    • The autonomous community of residence.
    • The taxpayer’s total income for the year.

 

Key practical consequence


Unlike Switzerland, Spain does not apply a preferential “capital benefits tax” rate. A large 2nd pillar withdrawal can therefore:

  • Push the taxpayer into higher marginal tax brackets.
  • Result in a significantly higher effective tax burden than in Switzerland

Timing and structuring considerations

Because of Spain’s progressive taxation, careful planning is essential:

  • Splitting withdrawals:
    If you have several vested benefits accounts (which is legally allowed), withdrawing them in different tax years may reduce overall taxation.

  • Coordination with retirement income:
    Avoid withdrawing large pension capital in the same year as:
    • High employment income,
    • Bonuses,
    • Or other taxable events.

  • Choice of residence before withdrawal:
    The tax treatment depends entirely on tax residence at the time of payout, not nationality.

 

There are ways to avoid paying taxes in other “less tax efficient countries” upon withdrawal, but that requires careful planning. An advisor would help you to make sure you take the right steps toward, so don’t hesitate and contact us now.

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Do You Need Help With Your Pillar 2a?

Case Study: The "Pension Trap" in Action

Meet Arthur (64) Arthur is a British national who has worked in Zurich for 20 years. He plans to retire to the Costa Blanca in Spain. He has accumulated CHF 800,000 in his Swiss 2nd pillar.

Scenario A: The Unplanned Move Arthur moves to Spain, becomes a tax resident, and then decides to withdraw his pension capital to buy a villa.

  • Swiss Tax: 0% (He claims the refund under the DTA).
  • Spanish Tax: The CHF 800,000 is treated largely as income. Even with certain reductions for irregular income, a vast portion is taxed at the top marginal rate.
  • Estimated Tax Bill: Could exceed CHF 200,000+ depending on the region.

 

Scenario B: Strategic Planning Arthur consults a wealth manager. He realizes he should optimize the timing of his withdrawal. He withdraws the capital while still a tax resident in Switzerland (specifically moving his assets to a low-tax canton foundation first, if applicable) or before triggering Spanish tax residency.

  • Swiss Tax: He pays the capital benefits tax (e.g., ~5–8% depending on the canton).
  • Spanish Tax: 0% (as he was not yet a resident).
  • Estimated Tax Bill: Approximately CHF 40,000 – CHF 60,000.

 

The Result: By getting the order of operations right, Arthur saves over CHF 140,000, money that goes straight into his retirement enjoyment rather than the tax man’s pocket.

FAQ: Common Questions on the Swiss 2nd Pillar

Can I split my 2nd pillar to save tax?

Yes.

If you have worked for multiple employers, you may have funds in different vested benefits accounts.

Withdrawing these in different tax years (staggered withdrawal) can break the tax progression, lowering the overall rate.

Swiss law considers pension assets accumulated during the marriage as shared property.

In the event of a divorce, these are generally split 50/50, regardless of which spouse contributed them.

Yes.

Swiss pension funds are strictly regulated. Even if your employer goes bankrupt, your pension assets are legally separate from the company’s balance sheet.

The Livelihood Guarantee Fund (Sicherheitsfonds BVG) provides a safety net for mandatory benefits.

The UK-Switzerland double taxation treaty is unique.

Generally, lump sums may be taxable in the UK, but “non-dom” residents (or those under the new Foreign Income and Gains regime, depending on the 2025 Budget changes) might have planning opportunities. (See our analysis on the UK Autumn Budget 2025).

Conclusion

The Swiss 2nd pillar is a powerful tool for wealth accumulation, but its rules, especially regarding withdrawals and international taxation, are rigid and complex. A mistake in timing, such as withdrawing funds after relocating to a high-tax jurisdiction like Spain, can cost you a significant percentage of your life savings.

However, with careful planning, you can navigate these rules to minimize tax and maximize your retirement security. Whether you are buying a home, leaving Switzerland, or simply approaching retirement age, professional advice is not just a luxury, it is an investment.

Ready to secure your retirement wealth? There are legitimate ways to avoid unnecessary tax burdens, but they require precise timing and expert knowledge. Don’t leave your largest asset to chance.

Contact Private Client Consultancy today to schedule a review of your pension strategy.

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