France: National Assembly approves digital services tax hike

27 October, 2025

The measure, outlined in amendment N° I-CF1827, targets large digital platforms. The Finance Committee of the French National Assembly approved an amendment to the 2026 Finance Bill raising the digital services tax (DST) from 3% to 15% on 22

See More

Israel: MoF issues draft law to implement global Pillar 2 rules

27 October, 2025

This draft legislation outlines the framework for establishing a local minimum tax on multinational corporations, ensuring alignment with international agreements to implement a global minimum tax. Israel’s Ministry of Finance has taken a

See More

Belgium releases comprehensive Pillar 2 global minimum tax guidance

24 October, 2025

Belgium has released comprehensive administrative guidance on the 2023 law introducing a minimum tax for large multinational and domestic groups, aligning with OECD/G20 BEPS 2.0 Pillar Two rules and detailing definitions, calculation methods,

See More

Slovak Republic: Parliament passes legislation to enact DAC9, Pillar 2 administrative guidance

24 October, 2025

DAC9 introduces new rules for sharing top-up tax information and filing obligations under the Pillar 2 GMT Directive (Directive (EU) 2022/2523). The Slovak Parliament approved a draft bill to implement Council Directive (EU) 2025/872 of 14 April

See More

Australia: ATO updates private ruling guidance to address Pillar 2 matters

24 October, 2025

The update introduces provisions enabling private rulings on Pillar Two interpretative issues and a new “decline to rule” mechanism, reflected in the addition of sections 40A and 40B. The Australian Taxation Office (ATO) has released an

See More

Austria: MOF consults 2025 tax reform, proposes updates to Pillar 2 rules

24 October, 2025

Draft bill introduces income tax inflation adjustments and updates to global minimum tax rules, with consultation open until 3 November 2025. The Austrian Ministry of Finance (MOF) has released the draft Tax Amendment Act 2025

See More

Vietnam: MoF introduces procedures and forms for Pillar 2 minimum tax compliance

23 October, 2025

The newly approved administrative procedures and forms go into effect on 21 October 2025. Vietnam’s Ministry of Finance (MoF) issued Decision No. 3563/QD-BTC on 21 October 2025, approving the administrative procedures and related forms under

See More

Israel opens consultation on draft Law for local minimum tax aligned with OECD Pillar Two

23 October, 2025

Ministry of Finance invites public comments on a draft law introducing a local minimum tax for multinationals under the OECD’s Pillar Two framework. The Israeli Ministry of Finance has opened a public consultation on draft legislation to

See More

Hong Kong: IRD issues updated guidance on Pillar 2 e-filing requirements for in-scope group members

23 October, 2025

This update is particularly significant for Hong Kong's minimum tax framework, as mandatory e-filing will apply to years of assessment starting on or after 1 April 2025.  Hong Kong’s Inland Revenue Department has released updated guidelines on

See More

Australia: ATO releases updated guidance on transitional CbC safe harbour rules for global and domestic minimum tax

23 October, 2025

The updated guidance will help taxpayers determine whether the transitional CBC reporting safe harbour applies and how it may simplify their Pillar Two compliance obligations. The Australian Taxation Office (ATO) has released updated Global and

See More

Hungary: NAV publishes final QDMTT advance payment form on ONYA platform 

23 October, 2025

The 24GLBADO form is required for reporting and paying the QDMTT advance under the country’s implementation of Pillar 2 global minimum tax rules. Hungary's National Tax and Customs Administration (NAV) has published the 24GLBADO form on the

See More

Hungary: Parliament reviews Autumn Tax Package measures

22 October, 2025

Hungary’s draft autumn tax package, presented on 14 October 2025, proposes adjustments across corporate, VAT, insurance, retail, and advertisement taxes—including R&D incentives, global minimum tax compliance, reduced VAT on beef,

See More

Hungary: Government presents DAC8, DAC9 implementation bill to parliament 

22 October, 2025

The legislation aims to align Hungarian law with EU directives by regulating crypto-asset reporting and implementing global minimum tax rules. Hungary’s government has presented Bill No. T/12802 on the implementation of DAC8 and DAC9 in the

See More

France proposes reduced surtax for large corporations in draft 2026 budget 

21 October, 2025

For 2026, France intends to maintain the temporary corporate income surtax for large corporations at reduced rates, introduce a wealth tax, speed up the gradual abolition of the CVAE business tax, and revise its global minimum tax

See More

Singapore: Parliament reviews Finance (Income Tax) Bill 2025, includes new corporate tax relief measures

21 October, 2025

This legislation proposes numerous amendments to the Income Tax Act (ITA) and the Multinational Enterprise (Minimum Tax) Act (MMTA).  Singapore's Parliament is reviewing the Finance (Income Taxes) Bill 2025, which had its first reading on 14

See More

Hungary: NAV Issues draft minimum top-up tax prepayment form

20 October, 2025

The draft 24GLBADO form is required for reporting and paying the QDMTT advance under the country’s implementation of Pillar 2 global minimum tax rules. Hungary's National Tax and Customs Administration (NAV) has introduced a draft version of

See More

Italy: MoF issues decree on Pillar 2 reporting, DAC9 compliance

20 October, 2025

Italy’s Ministry of Finance issued a decree for implementing Pillar 2 global minimum tax reporting obligations and the EU DAC9 Directive, aligned with OECD guidance. Italy’s Deputy Minister of Economy and Finance has signed a decree on 17

See More

Brazil: Federal Revenue Service amends QDMTT rules

20 October, 2025

Brazil’s Federal Revenue Service issued Normative Instruction 2282 on 3 October 2025, updating rules for the additional CSLL to align with OECD GloBE standards and confirming its status as a qualified domestic minimum top-up tax effective from

See More