On January 15, 2025, the OECD issued Administrative Guidance that includes a list of jurisdictions that have transitional qualified status for the purposes of the income inclusion rule (IIR) and domestic minimum tax (DMTT), including the QDMTT Safe Harbour.
The list of jurisdictions with transitional qualifying status applies as at January 15, 2025, however, it does not yet include a number of jurisdictions that have IIRs and DMTTs in place.
The table below indicates:
-which jurisdictions have an IIR or DMTT;
-the effective date of implementation;
-whether the IIR and DMTT qualify for Transitional Qualified Status;
-if there is a QDMTT, whether that qualifies for the QDMTT Safe Harbour (again under the Transitional Qualified Status rules).
Country | Status | IIR: Effective | QIIR | DMTT: Effective | QDMTT | QDMTT Safe Harbour | GloBE Country Guide | |
---|---|---|---|---|---|---|---|---|
(Transitional Qualified Status) | (Transitional Qualified Status) | (Transitional Qualified Status) | ||||||
Australia | January 1, 2024 | Yes | January 1, 2024 | Yes | Yes | Australia: GloBE Country Guide | ||
Austria | Enacted Law | December 31, 2023 | Yes | December 31, 2023 | Yes | Yes | Austria: GloBE Country Guide | |
Bahamas | Draft Legislation | No | No | January 1, 2025 (unless the Group or any of its Constituent Entities is subject to an IIR or UTPR in another jurisdiction in respect of that Fiscal Year) | No | No | The Bahamas: GloBE Country Guide | |
Bahrain | Enacted Law | No | No | January 1, 2025 | No | No | Bahrain: GloBE Country Guide | |
Barbados | Enacted Law | No | No | January 1, 2024 | Yes | Yes | Barbados: GloBE Country Guide | |
Belgium | Enacted Law | December 31, 2023 | Yes | December 31, 2023 | Yes | Yes | Belgium: GloBE Country Guide | |
Brazil | Enacted Law | No | No | January 1, 2025 | No | No | Brazil: GloBE Country Guide | |
Bulgaria | Enacted Law | January 1, 2024 | Yes | January 1, 2024 | Yes | Yes | Bulgaria: GloBE Country Guide | |
Canada | Enacted Law | December 31, 2023 | Yes | December 31, 2023 | Yes | Yes | Canada: GloBE Country Guide | |
Croatia | Enacted Law | December 31, 2023 | Yes | December 31, 2023 | Yes | Yes | Croatia: GloBE Country Guide | |
Curacao | Draft Legislation | January 1, 2025 | No | January 1, 2025 | No | No | Curacao: GloBE Country Guide | |
Cyprus | Enacted Law | December 31, 2023 | No | December 31, 2024 | No | No | Cyprus: GloBE Country Guide | |
Czech Republic | Enacted Law | December 31, 2023 | Yes | December 31, 2023 | Yes | Yes | Czech Republic: GloBE Country Guide | |
Denmark | Enacted Law | December 31, 2023 | Yes | December 31, 2023 | Yes | Yes | Denmark: GloBE Country Guide | |
Estonia | Enacted Law | Art. 50 Postponement to December 31, 2029 | No | No | No | No | Estonia: GloBE Country Guide | |
Finland | Enacted Law | December 31, 2023 | Yes | December 31, 2023 | Yes | Yes | Finland: GloBE Country Guide | |
France | Enacted Law | December 31, 2023 | Yes | December 31, 2023 | Yes | Yes | France: GloBE Country Guide | |
Germany | Enacted Law | December 31, 2023 | Yes | December 31, 2023 | Yes | Yes | Germany: GloBE Country Guide | |
Gibraltar | Enacted Law | December 31, 2024 | No | December 31, 2023 | No | No | Gibraltar: GloBE Country Guide | |
Greece | Enacted Law | December 31, 2023 | Yes | December 31, 2023 | Yes | Yes | Greece: GloBE Country Guide | |
Guernsey | Enacted | January 1, 2025 | No | January 1, 2025 | No | No | Guernsey: GloBE Country Guide | |
Hong Kong | Draft Law | January 1, 2025 | No | January 1, 2025 | No | No | Hong Kong: GloBE Country Guide | |
Hungary | Enacted Law | December 31, 2023 | Yes | December 31, 2023 | Yes | Yes | Hungary: GloBE Country Guide | |
Indonesia | Enacted Law | January 1, 2025 | No | January 1, 2025 | No | No | ||
Ireland | Enacted Law | December 31, 2023 | Yes | December 31, 2023 | Yes | Yes | Ireland: GloBE Country Guide | |
Isle of Man | Enacted Law | January 1, 2025 | No | January 1, 2025 | No | No | Isle of Man: GloBE Country Guide | |
Italy | Enacted Law | December 31, 2023 | Yes | December 31, 2023 | Yes | Yes | Italy: GloBE Country Guide | |
Japan | Enacted Law | April 1, 2024 | Yes | April 1, 2026 | No | No | Japan: GloBE Country Guide | |
Jersey | Enacted Law | January 1, 2025 | No | No | No | No | Jersey: GloBE Country Guide | |
Kenya | Enacted Law | No | No | January 1, 2025 | No | No | ||
Kuwait | Enacted Law (Awaiting Regulations) | No | No | January 1, 2025 | No | No | Kuwait: GloBE Country Guide | |
Latvia | Enacted Law | Art. 50 Postponement to December 31, 2029 | No | No | No | No | Latvia: GloBE Country Guide | |
Liechtenstein | Enacted Law | January 1, 2024 | Yes | January 1, 2024 | Yes | Yes | Liechtenstein: GloBE Country Guide | |
Lithuania | Enacted Law | Art. 50 Postponement to December 31, 2029 (draft law to apply an IIR from January 1, 2025) | No | No (draft law to apply a QDMTT from January 1, 2025) | No | No | Lithuania: GloBE Country Guide | |
Luxembourg | Enacted Law | December 31, 2023 | Yes | December 31, 2023 | Yes | Yes | Luxembourg: GloBE Country Guide | |
Malaysia | Enacted Law | January 1, 2025 | No | January 1, 2025 | No | No | Malaysia: GloBE Country Guide | |
Malta | Enacted Law | Art. 50 Postponement to December 31, 2029 | No | No | No | No | Malta: GloBE Country Guide | |
Mauritius | Partial Enactment | No | No | Included in Finance Act – Awaiting Details | No | No | ||
New Zealand | Enacted Law | January 1, 2025 | No | No (But a domestic IIR from January 1, 2026) | No | No | New Zealand: GloBE Country Guide | |
North Macedonia | Enacted Law | January 1, 2024 | No | January 1, 2024 | No | No | North Macedonia: GloBE Country Guide | |
Norway | Enacted Law | January 1, 2024 | Yes | January 1, 2024 | Yes | Yes | Norway: GloBE Country Guide | |
Oman | Enacted Law (Awaiting Regulations) | Awaiting Details | No | Awaiting Details | No | No | – | |
Poland | Enacted Law | January 1, 2025 (option to apply from January 1, 2024) | No | January 1, 2025 (option to apply from January 1, 2024) | No | No | Poland: GloBE Country Guide | |
Portugal | Enacted Law | December 31, 2023 | No | December 31, 2023 | No | No | Portugal: GloBE Country Guide | |
Qatar | Draft Law | Awaiting Details | No | Awaiting Details | No | No | – | |
Romania | Enacted Law | December 31, 2023 | Yes | December 31, 2023 | Yes | Yes | Romania: GloBE Country Guide | |
Singapore | Enacted Law | January 1, 2025 | No | January 1, 2025 | No | No | Singapore: GloBE Country | |
Slovakia | Enacted Law | Art. 50 Postponement to December 31, 2029 | No | December 31, 2023 | Yes | Yes | Slovakia: GloBE Country Guide | |
Slovenia | Enacted Law | December 31, 2023 | Yes | December 31, 2023 | Yes | Yes | Slovenia: GloBE Country Guide | |
South Africa | Enacted Law | January 1, 2024 | No | January 1, 2024 | No | No | South Africa: GloBE Country Guide | |
South Korea | Enacted Law | January 1, 2024 | Yes | No | No | No | South Korea: GloBE Country Guide | |
Spain | Enacted Law | December 31, 2023 | No | December 31, 2023 | No | No | Spain: GloBE Country Guide | |
Sweden | Enacted Law | December 31, 2023 | Yes | December 31, 2023 | Yes | Yes | Sweden: GloBE Country Guide | |
Switzerland | Enacted Law | January 1, 2025 | No | January 1, 2024 | Yes | Yes | Switzerland: GloBE Country Guide | |
Thailand | Enacted Law (Awaiting Regulations) | January 1, 2025 | No | January 1, 2025 | No | No | Thailand: GloBE Country Guide | |
The Netherlands | Enacted Law | December 31, 2023 | Yes | December 31, 2023 | Yes | Yes | Netherlands: GloBE Country Guide | |
Turkey | Enacted Law | January 1, 2024 | Yes | January 1, 2024 | Yes | Yes | Turkey: GloBE Country Guide | |
UAE | Announcement, Consultation + High Level Amendments to CIT Law | No | No | January 1, 2025 | No | No | – | |
United Kingdom | Enacted Law | 31-Dec-23 | Yes | December 31, 2023 | Yes | Yes | United Kingdom: GloBE Country Guide | |
Vietnam | Enacted Law | January 1, 2024 | Yes | January 1, 2024 | Yes | Yes | Vietnam: GloBE Country Guide |
There are therefore a number of jurisdictions with enacted legislation (particularly where this was enacted late in 2024) that do not yet have transitional qualified status.
It should be noted that even if a a jurisdiction is included in the OECD list of qualifying jurisdictions, this does not necessarily mean that the provisions will be directly applicable in domestic jurisdictions. Whilst the implementation of the QDMTT Safe Harbour, for instance, in domestic law frequently defers qualification of foreign DMTTs/QDMTTs to the jurisdictions agreed at international level by the OECD, this is not always the case.
In Australia, for example, Section 8-200 of the Taxation (Multinational—Global and Domestic Minimum Tax) Rules 2024, provides that for the purposes of the QDMTT Safe Harbour the Minister will issue a legislative notice to determine jurisdictions that have QDMTT Safe Harbour status. Therefore, the list published by the OECD under its Transitional Qualification Mechanism will not have direct effect in Australia.
The application of the GloBE rules is dependent on jurisdictions implementing Qualifying Income Inclusion Rules (QIIRs), Qualifying Domestic Minimum Taxes (QDMTTs) and Qualifying Under-taxed Payments Rules (QUTPRs). If jurisdictions implement rules that aren’t classed as ‘qualifying’ this would impact on how the GloBE rules apply to the MNE group.
For instance, if an MNE had a low-taxed constituent entity (CE) in a jurisdiction that implemented a QDMTT, the CE would be subject to the QDMTT in that jurisdiction. The tax levied on the QDMTT would be available as a credit (assuming the QDMTT safe harbour did not apply) against any top-up tax levied under an IIR in a foreign parent jurisdiction.
However, if the domestic minimum tax that was levied was not ‘qualifying’ the GloBE rules would apply top-up tax under the IIR to the foreign parent (generally, unless the UTPR applied) . The tax levied under the domestic minimum tax would just be another covered tax for the purpose of calculating the ETR of the constituent entity.
Therefore, determining which IIRs, UTPRs and DMTs are qualifying is essential.
For detailed information on the application of the GloBE Rules in based on the latest law, see our:
OECD Administrative Guidance: Domestic Implementation Matrix
Transitional CbCR Safe Harbour: Domestic Implementation Matrix
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