Pillar Two compliance obligations remain, despite potential simplifications under discussion through the G7 agreement and the OECD’s permanent safe harbor proposal. Doug McHoney also highlights the critical role of transfer pricing in developing a qualified CbCR report and how companies are adapting their tax operations to Pillar Two realities.
IN THIS EPISODE
Doug McHoney, PwC’s Global International Tax Services Leader
Sherry Grabow, PwC’s US International Tax Services Leader
FOR MORE INFORMATION
Tax Insight: IEEPA tariffs: Understanding the potential outcomes ahead of the Supreme Court’s ruling (10/20/2025)
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