Understanding the potential implications for your business
In 2021, the Organisation for Economic Co-operation and Development (OECD)/Group of 20 (G20) Inclusive Framework on base erosion and profit shifting (BEPS) agreed to a two-pillar approach to address the challenges of the global economy. The framework of the global minimum tax, ‘Pillar Two’, sets out a global uniform corporate income tax regime and could fundamentally alter the international tax landscape for companies.
The specifics around how this global minimum tax would apply are still being discussed and will differently impact the individual countries and their tax systems. Despite the policy debate, the concept of rules aims at making more and more jurisdictions to join the system.
The unprecedented nature of this reform and the scope of activity required to comply with it will undoubtedly present significant challenges for the organizations that fall within the scope of the rules and may change the landscape of future business structures.
In this two-part webinar we will look at the concept and rules of the global minimum tax and how they may impact international companies in Central Europe.
Part 1 | 20 September, 10:00 – 11:00 a.m. CET (Registration)
- The purpose and concept of the global minimum tax
- Scope of the rules
- Calculation of the amount of top-up tax
- Assessment of adjusted covered taxes
Part 2 | 27 September, 10:00 – 11:00 a.m. CET
- Assessment of GloBE income
- Substance carve-out
- Collection of the top-up tax
- Special considerations
Ferenc Poczak, Partner, Deloitte Hungary
Alex Bujtor, Senior Consultant, Deloitte Hungary
Tereza Petrášová, Senior Manager, Deloitte Czech Republic
We look forward to welcoming you to this webinar!
Participation in this webinar is free of charge and by invitation only. Please note that the webinar will be held in English.
The event is not intended for advisors and employees of companies engaged in advisory services. Deloitte reserves the right to create the list of participants.