Finland updates minimum tax act to reflect latest Pillar Two guidance, implement Side-by-Side package

27 March, 2026

Finland has enacted Law 187/2026, amending its Minimum Tax Act for Large Groups to align with OECD and EU standards โ€” introducing new rules on hybrid entities, deferred tax tracking,...

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India: Lok Sobha approves Finance Bill 2026 with amendments

27 March, 2026

India's Lok Sabha has approved the Finance Bill 2026 on 25 March 2026, implementing the Union Budget 2026โ€“27's wide-ranging tax reforms โ€” including a reduced minimum alternate tax rate, transfer pricing safe harbour changes, and new incentives for the IT sector and strategic industries โ€” as the bill awaits Rajya Sabha approval before the new Income Tax Act takes effect on 1 April 2026.

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Sweden: Parliament approves law to implement DAC9, GIR MCAA

27 March, 2026

Sweden's parliament has approved legislation implementing the EU's DAC9 directive, establishing a framework for the automatic exchange of top-up tax reports between jurisdictions to enforce the global 15% minimum effective tax rate for large multinationals, with the new law set to take effect on 1 May 2026.

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Taiwan: MoF outlines treaty relief for foreign e-services profits

27 March, 2026

Taiwanโ€™s Ministry of Finance has clarified that foreign enterprises providing electronic services may qualify for tax exemptions on business profits under applicable tax treaties, subject to application and documentation requirements.

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Ireland: Revenue updates participation exemption guidance for foreign distributions

27 March, 2026

Irish Revenue has issued eBrief No. 063/26, revising Tax and Duty Manual guidance on the participation exemption under section 831B TCA 1997 for certain foreign dividends and distributions.

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Germany: MoF publishes draft bill to implement GloBE information exchange

27 March, 2026

The German Ministry of Finance has released a draft bill to implement the Multilateral Competent Authority Agreement on the Exchange of GloBE Information Returns (GIR MCAA), enabling streamlined global minimum tax reporting for multinational enterprises.

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Russia: MoF updates guidance on mutual agreement procedure requests

27 March, 2026

New guidance clarifies eligibility, process, and documentation requirements for MAP assistance under Russiaโ€™s double taxation agreements.

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Australia: ATO issues guidance on Pillar Two rules for tax consolidated group restructures, transition rules

27 March, 2026

The ATOย  has released guidance on how Pillar 2 minimum tax rules apply to tax consolidated group restructures, covering the treatment of deferred tax assets and liabilities during transition years, asset transfer integrity rules, and the conditions governing ownership interest transfers and fair value elections.

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Australia: โ€‹โ€‹ATO consults on thin capitalisation compliance, risk-weighted asset allocation for foreign bank branches

27 March, 2026

Australia's Tax Office has opened public consultation on Draft Practical Compliance Guideline PCG 2026/D1, setting out its approach to determining risk-weighted assets attributable to Australian branches of foreign banks for thin capitalisation purposes, with comments due by 8 May 2026.

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France releases form for statement of assessment of the supplementary (top-up) tax

27 March, 2026

France's tax authority has released Form 2272-SD and accompanying guidance for reporting Pillar 2 top-up tax, covering the income inclusion rule, undertaxed profits rule, and qualified domestic minimum top-up tax โ€” setting out allocation formulas, centralisation options, and mandatory e-filing requirements to ensure large multinationals meet the 15% minimum effective tax rate across their French operations.

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