OECD Draft Rules Require Averaging For Pillar 1 Threshold
By Natalie Olivo · April 4, 2022, 6:13 PM EDT
Multinational corporations would average their profitability across multiple periods to determine whether they would need to reallocate certain profits under the first so-called pillar of an international tax agreement, according to...
To view the full article, register now.
Try a seven day FREE Trial
Already a subscriber? Click here to login