Further information relating to Amount B of Pillar One and the global minimum tax under Pillar Two
The Organisation for Economic Cooperation and Development (OECD) today announced further information relating to Amount B of Pillar One and the global minimum tax under Pillar Two. Read the OECD release.
The report on Amount B was published in February 2024 and provides a simplified and streamlined approach to the application of the arm's length principle to baseline marketing and distribution activities, with a particular focus on the needs of low-capacity countries. Read TaxNewsFlash. The OECD/G20 Inclusive Framework on BEPS (IF) has now completed design aspects, allowing jurisdictions to begin with implementation.
The guidance published today provides:
Further work on the Pillar One package, including the Amount B framework, is ongoing. Read TaxNewsFlash.
The IF also released guidance to clarify and simplify the application of the global minimum tax and an overview of the process for recognising qualified status for the legislation of jurisdictions implementing the global anti-base erosion (GloBE) rules.
KPMG observation: Although included in today's OECD release, this information is not new and was released in late May 2024. Read TaxNewsFlash