Pillar One and Pillar Two will change the way in which MNE
groups will be taxed. They are expected to enter into force in
2023, which means that the time to prepare and assess the expected
impact is now.
In our new video, our tax experts Charlotte Kiès and Jan-Willem Kunen explain how you can plan for the next steps.
On 8 October 2021, 136 out of 140 members of the OECD/G20 Inclusive Framework officially agreed on certain key parameters to reallocate some taxing rights to market jurisdictions ("Pillar One") and introduce a global minimum effective taxation ("Pillar Two"). Although these measures were initially presented as part of taxing the digital economy, in their current form they will affect all sectors. We also refer to our article of 11 October 2021.
Technical details will be released over the next 14 months, starting with Pillar Two rules in November 2021, while Pillar One rules will be detailed over 2022. The entry into force will be progressive as from 2023. And that means the time to prepare is now. To help you do so, Charlotte Kiès and Jan-Willem Kunen summarise the most important things you need to know about Pillar One and Pillar Two in the video below.
The content of this article is intended to provide a general guide to the subject matter. Specialist advice should be sought about your specific circumstances.