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With the adoption of the EU's Minimum Tax Directive on 15 December 2022, work is underway by the legislators of EU Member States to transpose the rules by 31 December 2023. Additionally, on 20 December 2022, the OECD released guidance on a temporary Country-by-Country reporting safe harbor and penalty relief. In short, businesses in scope and tax authorities have less than a year to prepare.
What could this mean in practice for EU and non-EU headquartered groups in scope? How might the rules impact competition? And how does the Directive fit in with the broader EU tax agenda?
Topics discussed include:
BEPS 2.0 Pillar Two
OECD’s guidance country-by-country reporting safe harbor and penalty relief