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Global financing rules are undergoing constant transformation as jurisdictions tighten anti-abuse measures and implement new tax reforms, such as the One Big Beautiful Bill Act (OBBBA). Multinational enterprises must navigate a complex landscape of interest capacity rules, thin capitalization standards, anti-hybrid provisions, controversy, foreign exchange and evolving withholding tax regimes—all while considering special anti-avoidance rules for intercompany financing under Pillar Two.
This webcast will provide a comprehensive update on the latest financing-related tax developments worldwide. We will examine how these changes affect intra-group financing approaches, treasury operations and overall tax risk management. Panelists will offer insights into the implications of the relevant provisions across various regions, including the EU member countries, the Asia Pacific (APAC), Latin America (LATAM) and the United States. They will provide a US perspective on the topic and address recent updates under the OBBBA, as well as explain special financing rules under Pillar Two.
Panelists:
Tobias Appl, Managing Director, German Tax Desk Leader | NY, International Tax and Transaction Services, Ernst & Young LLP
Serge Huysmans, Partner, BEPS Desk Leader | NY, International Tax and Transaction Services, Ernst & Young LLP
Gabriela Penteado Cursino De Moura, Senior Manager, Latin America Business Center | NY, International Tax and Transaction Services, Ernst & Young LLP
Adriana Sanmarti, Senior Manager | Miami, International Tax and Transaction Services, Ernst & Young LLP
Wendy Wong, Senior Manager, Singapore Tax Desk | Chicago, International Tax and Transaction Services, Ernst & Young LLP
Moderator:
Alain Horat, Partner, Swiss Desk Leader | NY, International Tax and Transaction Services, Ernst & Young LLP