Developments over the past several months on both the U.S. and global stages portend possible significant business taxation changes for multinational companies. The Biden Administration released its Green Book explanation of its tax proposals in May, and the OECD/G20 moved forward on a consensus-based solution to the tax challenges arising from the digitalization of the economy through its work on Pillars One and Two during meetings in June and July.
KPMG LLP (KPMG) invites you to attend this one-hour webcast replay, hosted by the KPMG U.S. Inbound Tax Network and KPMG U.S. International Corridors, that examines how these developments may affect foreign-parented multinational groups with operations in the United States and what these organizations may want to consider when evaluating the potential changes. Senior professionals from the KPMG Washington National Tax practice discuss:
- The prospects and potential timing of any U.S. tax legislation
- The Biden administration’s tax proposals most relevant to “inbound” operations and potential changes that could be undertaken by Congress
- The interaction of U.S. tax proposals with the proposals being developed by the OECD through the “Inclusive Framework.”