Pillar Two Tools & Analysis

Domestic Pillar Two Implementation

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Latest Pillar 2 Developments

August 28, 2025: Australia – On August 26, 2025, the Taxation (Multinational—Global and Domestic Minimum Tax) (Qualified GloBE Taxes) Determination 2025 was issued. This provides for a list of jurisdictions that have qualified status for the purposes of the income inclusion rule (IIR) and domestic minimum tax (DMTT), including the QDMTT Safe Harbour. 

August 27, 2025: Australia- On August 27, 2025, the Australian Taxation Office issued a draft legislative instrument for consultation (the ‘Taxation Administration (Exemptions from Requirement to Lodge Australian IIR/UTPR tax return and Australian DMT tax return) Determination 2025’). This outlines situations when entities within the scope of the Pillar 2 GloBE rules do not need to file an Australian DMT Return or an IIR/UTPR Return.

August 22, 2025: Romania – On August 20, 2025, the Romanian government issued a draft law for consultation. The law proposes amendments to various aspects of the Minimum Tax Act, including for the local accounting standard and local currency for QDMTT purposes, transferable tax credits and the excess negative tax carry forward election

August 21, 2025: Slovakia – On August 20, 2025, the Slovakian Government issued a draft law to implement the OECD June 2024 and January 2025 OECD Administrative Guidance.

August 20, 2025: Mauritius – The Finance Act 2025, enacted on August 8, 2025, includes a new QDMTT from July 1, 2025.

August 20, 2025: OECD – On August 18, 2025, the OECD updated the list of jurisdictions with Transitional Qualifying Status.

For all Pillar 2 Developments, see our Pillar Two Developments Tracker.

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