Navigating the complexities of Pillar Two requires a comprehensive and coordinated approach. Our tailored Pillar Two Advisory Services are designed to simplify your reporting and compliance obligations by integrating expertise across technical accounting, international tax, transfer pricing, technology, and local tax regulations, into one cohesive service. Whether you are managing Pillar Two in the context of a transaction or as part of your ongoing compliance cycle, we can work seamlessly with your Finance, Tax, and IT teams to operationalize Pillar Two and help transform how you manage Pillar Two compliance.
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- Compliance, Execution, and Governance
- M&A and Group Structuring
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- Strategic Decision-Making
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Singapore Transfer Pricing Guidelines (Eighth Edition)
December 30, 2025
IRAS TPG8 Transfer Pricing updates: domestic loan relief, cross-border loan rules, SSA pilot, protective MAP, strict pass-through costs, documentation.
Supreme Court clarifies the Scope of Deduction of Head Office Expenditure for Non-Residents as enshrined under section 44C of the Income Tax Act, 1961
December 26, 2025
The Supreme Court of India (SC) has pronounced a landmark judgment (the Ruling) in the case of American Express Limited and Oman International Bank (the Taxpayers), which will have a significant impact on non-residents operating in India through a branch structure.
Vietnam Tax Update: CAPITAL TRANSFER TAX FOR FOREIGN CORPORATE SELLERS UNDER NEW DECREE NO. 320/2025/ND-CP DATED 15 DECEMBER 2025
December 24, 2025
New Decree sets a 2% Capital Transfer Tax on gross proceeds for foreign sellers, outlines exclusions, and leaves open issues on taxing point.
Malaysia Widens Capital Gains Tax “Disposal” Definition: Impact on M&A, Corporate Restructuring and Exit Planning
December 18, 2025
Malaysia redefines Capital Gains Tax 'disposal' to include share ownership cessation, affecting M&A, restructuring, and exit planning. Effective Jan 1, 2026.