Cross-border Tax Talks Podcast | PILLAR TWO: HOW SAFE IS THE SAFE HARBOR? | Steve Kohart
Doug McHoney (PwC’s International Tax Services Global Leader) is joined by Steve Kohart for our first podcast in PwC’s New York studio. Steve is a PwC international tax partner based in New York, and a former adviser for the OECD Center for Tax Policy and Administration. Doug and Steve discuss the OECD’s latest Pillar Two Administrative Guidance, which was published December 18, 2023 and primarily covers the transitional country by country Safe Harbor. More specifically, Doug and Steve address how jurisdictions will implement the guidance, purchase price accounting adjustments, consistent use of data, hybrid arbitrage arrangements, the allocation of CFC taxes, and whether the OECD will provide additional guidance in 2024. Timestamps: 1:25 - How was your holiday break? 2:10 - Back to work! What is the general scope of the December 2023 OECD Administrative Guidance? 4:22 - Will countries actually be able to incorporate this guidance into domestic legislation? 6:50 - What did the guidance provide on purchase price accounting adjustments, including for goodwill impairment. 9:22 - Let’s talk about the consistent use of data for: Constituent Entities Permanent establishments Financial statements Transfer pricing adjustments, and so forth. 15:50 - Looking at other issues outside of the consistent use of data, let’s discuss: Guidance on intergroup payments Simplified covered taxes Permanent establishments Routine profits test Consolidated revenue threshold 20:30 - The guidance addressed some mechanical questions around mismatches of fiscal years 21:30 - Guidance on non material Constituent Entities 22:28 - Discussion of hybrid arbitrage arrangements - what it is, why the OECD was concerned, etc. 25:27 - Cut off dates 27:24 - Deduction / Non Inclusion 28:17 - Duplicate loss arrangements 30:26 - Duplicate tax recognition arrangements 31:59 - Traps for the unwary as taxpayers are thinking about adjustments for the transitional safe harbor 36:11 - How does the allocation of CFC tax rules work? 41:20 - Will we see more guidance from the OECD in 2024? How will implementing jurisdictions address retroactivity? 43:04 - Any general advice for multinational companies? Subscribe to our podcast Apple Podcasts Google Podcasts Spotify Stitcher Overcast TuneIn

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