The 2026 EY Global Tax Policy and Controversy Outlook

Global tax policies are evolving fast. This series shows what’s changing, what could be next and how businesses can prepare with confidence.

Learn about the key tax policy, enforcement and controversy developments and expectations in the 74 jurisdiction reports.

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The 2026 outlook for global tax policy and controversy

The pace of global change is relentless, and decisions rarely occur in isolation. Around the world, leaders are navigating a complex web of competing priorities: stimulating growth while protecting public finances, balancing security needs against budget constraints, working with international partners without sacrificing national interests and embracing technological innovation amid rising risks. These pressures all surface in global tax negotiations, which increasingly mirror the interconnected and demanding realities of modern policymaking.

Wondering how changing global tax policies will impact your business?

Aruna Kalyanam, EY Global and Americas Tax Policy Leader, presents this new series that shares insights from the EY network of policy and controversy leaders around the world on top developments and expectations.


The three major drivers of tax policy

There are three major drivers that together are shaping tax policy and controversy in 2026. We’ll explore each and how business can prepare for potential changes.

1. Balancing tax competition and revenue needs

Governments face a delicate balancing act. On one hand, they must generate more revenue to fund security measures, sustain public programs and manage mounting debt. On the other, they strive to remain attractive destinations for investment and catalysts for economic growth. We’ll explore how governments are navigating these competing priorities amid political and economic volatility. We’ll also explain how businesses can capitalize on opportunities and reduce risks.

2. International tax cooperation

The year began with the Organisation for Economic Co-operation and Development (OECD) releasing long-awaited guidance including the side-by-side arrangement, effectively exempting US multinationals from most Base Erosion and Profit Shifting (BEPS) 2.0 Pillar Two global minimum tax rules, as well as simplified Global anti-Base Erosion (GloBE) and incentive rules. This release is the culmination of years of work and debate, but there is still work to be done as rules come into place. We’ll explore the status of Pillar Two as well as what is next in global negotiations.

3. Rising tax controversy

Despite ongoing efforts to harmonize global tax norms, compliance remains fragmented and continues to evolve at a rapid pace. The heightened level of tax risk and controversy will continue as sources of tax controversy diversify. The implementation of the Global Minimum Tax of Pillar Two, including the side-by-side arrangement, the future of digital taxes and changing transfer pricing policies are all poised to add to current workloads. Effective data management is critical to addressing this rising controversy. Both businesses and tax authorities are embracing technology, including generative AI (GenAI), in the hopes of alleviating burdens. We’ll explore what governments and tax authorities are doing and how businesses can prepare and manage the risks.

See the local trends in 74 jurisdictions

Detailed jurisdiction reports on the key tax policy, enforcement and controversy developments and expectations, reflecting the observations of local EY Tax professionals, are available to download below.

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