2026 Tax Strategist Cross-Border Webcast: Spring Planning Session
The OECD's January 5 guidance introduces a "side-by-side" arrangement that may effectively exclude many U.S.-parented multinationals from most Pillar Two (GloBE) rules beginning in 2026—yet significant compliance and reporting obligations remain for 2024–2025 and in any jurisdictions with a Qualified Domestic Minimum Top-Up Tax (QDMTT). Join BDO for a timely webcast to break down what's...

