The purpose of this book aims to compare the national tax burdens of Switzerland, Luxembourg, and Germany with regards to the treatment of Investment Funds, specifically, collective investment vehicles (CIVs); Sociéte d'Investissement à Capital Variable, and Fonds Communs de Placement (SICAVs and, FCPs, respectively), as well as, Master feeder funds, Fund of Funds, and finally, Non-CIVs which are most commonly referred to as Alternative Investment Funds (AIFs); Hedge Funds, and Private Equity Funds (PE). Investment funds have become an integral part of cross-border activity within the European Union. They contribute significantly to adequate provisioning for retirement; they allocate savings to productive investments; and they can be a force for sound corporate governance. However, it cannot be ignored there lays a considerate amount of uncertainty in terms of taxation of investment funds mainly due to discrepancies between legal structures between countries, and their affiliatedtax treatment. These discrepancies are investigated in greater detail in this book.