As the Global Minimum Tax Rules (“Pillar 2”) comes into force on January 1, 2023, it is now imperative for affected multinational entities to act quickly in order to implement the Organisation for Economic Cooperation and Development (“OECD”) and EU requirements in a timely manner, and to avoid possible sanctions. The administrative effort and fiscal consequences should not be underestimated. In the Handelsblatt Steuerboard, Dr. Jens-Uwe Hinder and Dr. Jenny Broekmann comment on the effects of the global minimum taxation on German group companies.
Read the full article (in German).