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Annotations on the OECD Global Anti-Base Erosion Model Rules (Pillar 2)

Annotations on the OECD Global Anti-Base Erosion Model Rules (Pillar 2)

  • 作者:
  • 出版商: Kluwer Law International
  • ISBN: 9789403543161
  • 出版时间 September 2024
  • 规格: Hardback
  • 适应领域: Netherlands ? 免责申明:
    Countri(es) stated herein are used as reference only

List Price: ¥1,804.80

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  • 描述 
  • 大纲 
  • 详细

    Annotations on the OECD Global Anti-Base Erosion Model Rules (Pillar 2) is a first-of-its-kind book that provides an in-depth survey of the implications of Pillar 2 of the OECD Global Anti-Base Erosion Model Rules for all stakeholders, with detailed annotations by nineteen renowned experts in the field of multinational corporate taxation who describe the relevant provisions with examples and considerations addressing their scope, functioning, and interaction. Although still under development, Pillar 2 Rules already pose significant challenges for taxation authorities globally. Intended to establish a floor in the possibilities for countries to compete for corporate investment with each other in corporate income taxation, the Pillar 2 Rules arising from the OECD/G20 Inclusive Framework have been agreed on by 140 countries.

    What’s in this book:

    Based on a comprehensive discussion of the Rules, their technical operation, and the administrative guidance provided by OECD, topics covered include the following:

    • definitions of tax terms for Pillar 2 purposes
    • computation of income or loss, adjusted covered taxes, effective tax rate, and top-up tax
    • jurisdictional blending and loss offsets
    • effect of corporate restructurings and holding structures
    • excluded categories of income
    • carve-out opportunities under the Substance-Based Income Exclusion (SBIE)
    • transitional country-by-country and time-limited safe harbours, and
    • differences and interactions between the OECD Global Anti-Base Erosion (GloBE) and both the EU Pillar 2 Directive and the US Global Intangible Low-Taxed Income (GILTI) regimes

    How this will help you:

    It has been estimated that the GloBE reform would produce a global additional tax revenue of USD 200 billion annually. Thus, taxation authorities, tax practitioners, and multinational corporate counsel must become as aware as possible of the intricacies of the Pillar 2 Rules. For this reason, this detailed discussion and analysis will be greatly appreciated by taxation professionals worldwide.

  • Preface and Acknowledgements

    CHAPTER 1. Scope and Main Definitions
    Maarten de Wilde
    CHAPTER 2A. Charging Provisions
    Marco Adda & Francesco Giuliano Parlatore
    CHAPTER 2B. Charging Provisions: UTPR
    Paolo Arginelli
    CHAPTER 3A. Computation of GloBE Income or Loss
    Giuseppe Francesco Patti
    CHAPTER 3B. Computation of GloBE Income or Loss: International Shipping Income Exclusion (Article 3.3)
    Ton Stevens
    CHAPTER 3C. Computation of GloBE Income or Loss: Allocation of Income or Loss Between a Main Entity and a Permanent Establishment, and From a Flow-Through Entity
    Kasper Dziurdz & Christoph Marchgraber
    CHAPTER 4A. The Computation of Adjusted Covered Taxes
    Dieter Bettens
    CHAPTER 4B. The Computation of Adjusted Covered Taxes: Mechanism to Address Temporary Differences, the GloBE Loss Election, Post-filling Adjustments and Tax Rate Changes
    Ana Paula Dourado & Leidson Rangel
    CHAPTER 5. Computation of Effective Tax Rate and Top-Up Tax
    Maarten de Wilde
    CHAPTER 6. Corporate Restructuring and Holding Structures
    Federica Pitrone
    CHAPTER 7. Tax Neutrality and Distribution Regimes
    Hein Vermeulen
    CHAPTER 8A. Administration
    Sigrid Hemels
    CHAPTER 8B. Transitional CbCR Safe Harbours
    Luca Bosco
    CHAPTER 9. Transitional Rules
    Marco Busia
    CHAPTER 10. Differences Between the OECD’s GloBE Model Rules and the EU’s GloBE Directive
    Rita Szudoczky & Valentin Bendlinger
    CHAPTER 11. Pillar 2 and GILTI: Coexistence, Conformity or Fracture?
    Mindy Herzfeld

    Index

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