The OECD/G20 and the EU global minimum tax
Carlo Garbarino
Chapter 19 in Research Handbook on Post-Pandemic EU Economic Governance and NGEU Law, 2024, pp 282-297 from Edward Elgar Publishing
Abstract:
The OECD approach to reduced taxation of multinational enterprises (MNEs) led to the release of ‘nexus rules’ (Pillar One) and ‘profit allocation rules’ (Pillar Two). Pillar Two has pulled ahead of Pillar One, and the EU Global Minimum Tax Directive converged with Pillar Two, while the NGEU created an incentive for the EU to create new EU own resources having a regulatory aim which will include the Carbon Border Adjustment Mechanism (CBAM), the EU Emissions Trading System (ETS) as well as the global minimum tax imposed by the Directive. In particular the global minimum tax is imposed by home states which undertake the obligation to tax their own MNEs on their on global profits in a defensive coalition against base erosion and profit shifting.
Keywords: Economics and Finance; Law - Academic; Politics and Public Policy (search for similar items in EconPapers)
Date: 2024
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