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Pillar One and Transfer Pricing Implications
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Understanding Pillar One: What It Means for Multinational Enterprises
The growth of the digital economy has changed how and where value is created and taxed. Pillar One introduces a new approach to allocating taxing rights, with two main components. Amount A reallocates a portion of non-routine profits to market jurisdictions, even when a company lacks physical presence. Amount B provides a fixed return for baseline marketing and distribution activities.
Watch now to learn how the OECD’s Pillar One proposal could affect multinational enterprises under the evolving international tax framework.
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