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How the BEPS Pillar Two rules could impact Oceania resources groups

Exploring the latest developments in the OECD’s BEPS Pillar Two initiative, and their potential impact on Oceania multinational groups operating in resources and other capital-intensive industries.

Related topics Tax Supply chain Global trade

In this episode of the EY Oceania BEPS 2.0 podcast series, host Tony Merlo is joined by Andrew Nelson and Liz Cullinan to explore the latest developments in the OECD BEPS Inclusive Framework’s Pillar Two initiative, including, in particular, the release of the Pillar Two Model Rules on 20 December 2021.

This episode focuses on the potential impact of these model rules on Oceania multinational groups operating in resources and other capital-intensive industries.

Other episodes in this podcast series explore some different aspects of the Pillar Two model rules, including a general overview of how the rules may affect Oceania multinationals [Episode 2], the potential impact on taxpayers in the financial services sector, [Episode 4] and what multinationals should be doing now from a tax systems perspective to be ready for the rules [Episode 5].

Learning outcomes

  • Considerations of modified deferred tax principles in the Effective Tax Rate Calculation under the BEPS 2.0 Pillar Two model rules.
  • Implications of countries implementing a Domestic Minimum Tax.
  • Accounting challenges arising from the BEPS 2.0 Pillar Two model rules.
  • Substance-based exceptions / carve outs for taxpayers.
  • Consideration of implications of the BEPS 2.0 Pillar Two model rules to joint venture structures.

For your convenience, read the full transcript.

Presenters

Tony Merlo
Tony Merlo
EY Australia Tax Policy Partner
Andrew Nelson
Andrew Nelson
EY Australia International Tax Partner
ey-liz-cullinan
Liz Cullinan
Partner – International Tax and Transaction Services

Podcast

Duration 16m 02s

In this series

(Event List - Manual)

What the BEPS October 2021 Pillar 1 and 2 Statement means for Oceania multinationals

In this episode, we explore key updates to come out of the OECD BEPS Inclusive Framework’s statement in October 2021 in relation to Pillars 1 and 2.
Podcast
Duration
13m 34s

Presenters

Andrew Nelson

EY Australia International Tax Partner

Matt Andrew

EY Asia Pacific Tax Policy Leader

What Oceania multinationals must know about the Pillar Two model rules

Exploring the latest developments in the OECD’s BEPS Pillar Two initiative, with practical insights as to how these developments are likely to impact Oceania multinationals
Podcast
Duration
16m 30s

Presenters

Tony Merlo

EY Australia Tax Policy Partner

Dean Madsen

EY New Zealand International Tax Partner