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| As UK nationals living here and owning property here, we were told that it is sufficient to have the clause about UK law applying within our wills. However, I understand that there have been some judgements within Canton Vaud that have overturned this and the position is very unclear currently. | |
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I checked with my Swiss lawyer. They say say that the legal precedents haven't changed and that UK nationals cans still avoid obligatory apportionment by having the will subject to English law.