The special investigator on 7 February 2023 submitted to the government an interim report on the proposal for implementation of the EU global minimum tax directive.
The investigator proposes that a new law on additional tax be introduced that mainly corresponds to the EU directive but is adapted to Swedish conditions. The proposed law, which would consist of 10 chapters and approximately 280 sections, is intended to be comprehensive and therefore includes both substantive and procedural rules. However, the proposal is not totally complete (e.g., rules on safe harbors are not included) because the Organisation for Economic Cooperation and Development (OECD) only recently published certain parts of the model rules.
The law on additional tax would apply to groups, international as well as Swedish, with revenues of at least €750 million. According to the interim report, this means that 124 groups with parent companies in Sweden and a total of approximately 12,000 Swedish group units (of which approximately 8,000 Swedish group units belong to groups with foreign parent companies) would be covered by the rules.
The proposed law would become effective 1 January 2024 and would apply to tax years beginning after 31 December 2023 (with the exception of the supplementary rule, which would apply after 31 December 2024).