WEBCAST

Pillar One: Where Next?

2023 is the year of implementation for the OECD’s Pillar Two global minimum tax rules. But agreement has yet to be reached on Pillar One – the other half of the OECD’s BEPS 2.0 package.

Within the world of Pillar One, the future for Amount A (the proposed reallocation of taxing rights over a small set of large, highly profitable companies) and Amount B (a transfer pricing simplification project that would apply to small and large businesses alike) is much less certain.

KPMG LLP is pleased to invite you to a one-hour webcast on where Pillar One may go next, focusing on:

  • Status of Amount A, Amount B, and the removal of digital services taxes
  • Expected developments in 2023
  • Implications for the future of the international tax system and how countries apply transfer pricing rules.

Speakers

Quyen Huynh

Quyen Huynh

Principal, International Tax, Washington National Tax, KPMG US

Mark R. Martin

Mark R. Martin

Principal, Head of Tax Controversy & Dispute Resolution, Washington National Tax, KPMG US

Alistair Pepper

Alistair Pepper

Managing Director, Economic & Valuation Services, Washington National Tax, KPMG U.S. Tax Services (London) LLP

Thomas Bettge

Thomas Bettge

Senior Manager, Economic & Valuation Services, Washington National Tax, KPMG US

Ian Liskay

Ian Liskay

Senior Manager, Economic & Valuation Services, KPMG US