Pillar 2 Dashboard
A high-level view of Pillar 2 implementation and key design features across jurisdictions.
Analysis of the domestic implementation of Pillar 2 globally. Detailed Country Guides, Local Compliance Requirements, PDF Report Builders, Tools, OECD Administrative Guidance and QDMTT Design Tracking and more.
A high-level view of Pillar 2 implementation and key design features across jurisdictions.
Track local filing requirements, timelines, and practical compliance checkpoints by jurisdiction.
Generate stakeholder-ready PDF reports and structured Pillar 2 outputs for client delivery.
Assess Transitional CbCR Safe Harbour eligibility by tested jurisdiction and export structured outputs.
On February 6, 2026, Slovenia provided high-level information on Pillar 2 filing. It announced the QDMTT return is expected to be available in e-taxes from May 2026.
On 30 January 2026, the Uruguayan Tax Authority announced that from September 1, 2026 entities will be able to apply for the QDMTT exemption for qualifying entities with fiscal stability clauses.
The exclusion applies for fiscal years closing on or after December 16, 2025).
On January 29, 2026, Canada’s Department of Finance released draft GMTA technical amendments introducing an elective “private investment entity” de consolidation rule for Pillar Two/GMTA purposes.
On January 30, 2026, Japan issued its Notice of Interpretation of the Partial Revision of the Basic Notice on Corporate Tax, which includes additional guidance on the application of the UTPR and QDMTT in Japan.
On January 22, 2026, Sweden published a draft law to implement the EU DAC 9 Exchange of Information rules for GloBE Information Returns. It is proposed to be effective from 1, 2026.
Our OECD Pillar Two Tracker covers the latest developments at the OECD, EU and in domestic jurisdictions to keep you up-to-date with the implementation of Pillar Two.
Updated daily and with links to our more detailed analysis on the approach and impact of domestic implementation:









Featured Articles

On January 29, 2026, Canada’s Department of Finance released draft GMTA technical amendments introducing an elective private investment entity de-consolidation rule for Pillar Two/GMTA purposes.

On January 30, 2026, Japan’s National Tax Agency issued a law implementation circular clarifying certain aspects of its UTPR and QDMTT.

In January 2026, Canada issued the filing procedures for the GIR, GMT Return and the Double Filing Relief Notification.

On January 19, 2026, South Korea issued a Draft Law to amend the Enforcement Decree to the International Tax Adjustment Act. This provides for detailed

On January 19, 2026, the Hong Kong Inland Revenue Department opened its E-filing portal for the submission of Top-Up Tax Notifications

On December 31, 2025, Israel enacted Law No. Law 5776-2025 on the Minimum Corporate Tax for Multinational Groups. The enacted law contains some significant changes

On December 29, 2025, Uruguay’s President issued Decree No. 325/025, to provide for exemptions from the QDMTT for entities covered by a tax stability agreement.

On December 23, 2025, Korea enacted Law number 21215 to implement the 2026 Tax Reform. This includes a QDMTT from January 1, 2026.

On January 5, 2026, the OECD Released Guidance on amendments to the Pillar 2 rules for the Side-by-Side Tax Package. This includes a new Simplified

On January 5, 2026, the OECD Released Guidance on amendments to the Pillar 2 rules for the Side-by-Side Tax Package. This includes a new Substance-based
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