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Global Minimum Tax & BEPS – Work in fast track

Vivek Jalan
OECD Seeks Public Input on Global Tax Reform, Digital Services Taxes, and Pillar One Stabilization Goals The international community is advancing the implementation of a two-pillar solution to reform global tax rules, addressing challenges from globalization and digitalization. The OECD recently invited public comments on defining and pricing in-country marketing and distribution arrangements. It also seeks input on the Draft Multilateral Convention provisions regarding Digital Services Taxes and Pillar One's stabilization goals. Pillar Two involves a coordinated system ensuring multinational enterprises with revenues above EUR 750 million pay a minimum 15% tax rate in each jurisdiction. The Inclusive Framework plans to release administrative guidance for the global minimum tax, with the first guidance expected in early 2023. (AI Summary)

A year after the international community reached a landmark agreement on a two-pillar solution to reform the international tax rules to address the tax challenges arising from globalization and digitalization, progress continues fast towards its implementation across both pillars.

We know that The OECD had 2 weeks ago released a document inviting public comments on how to outline the progress made in defining what in country baseline marketing and distribution arrangements are, how they may be identified in practice, and subsequently how in-scope arrangements may be   priced in a simplified and streamlined manner, in accordance with the arm’s length  principle.

Now the OECD has sought public comments on the Draft Multilateral Convention (MLC) Provisions on Digital Services Taxes (DSTs) and other Relevant Similar Measures of Amount A of Pillar One. The OECD has also sought public comments on compliance and co-ordination aspects of the Pillar Two global minimum tax.

The draft MLC provisions aims at removal of all existing DSTs and other relevant similar measures and the standstill of future measures, which are an integral part of achieving Pillar One’s goal of stabilizing the international tax architecture. This follows the recent release of the consultation document on Amount B which completes the consultation on all the building blocks of Pillar One.

Under Pillar Two, the Inclusive Framework is releasing an implementation package relating to Pillar Two Global Anti-Base Erosion (Globe) Rules, which provide a coordinated system to ensure that multinational enterprises (MNEs) with revenues above EUR 750 million pay at least a minimum level – at an effective rate of 15% – on the income arising in each of the jurisdictions in which they operate.

Going forward, the Inclusive Framework expects to release administrative guidance on the interpretation or administration of the global minimum tax on a rolling basis, with the first package of administrative guidance to be released in early 2023. Work is also proceeding on the finalization of the subject to tax rule and the related multilateral instrument to assist in its implementation.

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