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.
We provide the following Pillar Two Advisory offerings:
- Financial Accuracy and Transparency
- Compliance, Execution, and Governance
- M&A and Group Structuring
- Technology-Enabled Solutions
- Strategic Decision-Making
- Data Governance and CbCR Integration
Download Pillar Two Advisory Services
Indonesia’s Administrative Framework for Pillar Two Implementation
June 17, 2026
Indonesia’s new PER-6/PJ/2026 regulation establishes the operational framework for Pillar Two, bringing new compliance obligations for multinational groups.
Game-Changing Enhancements to Strengthen Hong Kong’s Position as a Leading Asset and Wealth Management Hub
June 12, 2026
The Hong Kong Government gazetted the long-awaited Inland Revenue (Amendment) (Preferential Tax Regimes for Funds, Family-owned Investment Holding Vehicles and Carried Interest) Bill 2026 (the “Bill”) on 12 June 2026. The Bill proposes enhancements to the existing preferential tax regimes for funds, family owned investment holding vehicles (“FIHVs”) managed by single family offices and the carried interest concession.
Game-Changing Enhancements to Strengthen Hong Kong’s Position as a Leading Asset and Wealth Management Hub
June 12, 2026
The Hong Kong Government gazetted the long-awaited Inland Revenue (Amendment) (Preferential Tax Regimes for Funds, Family-owned Investment Holding Vehicles and Carried Interest) Bill 2026 (“2026 Amendment Bill”) on 12 June 2026. The 2026 Amendment Bill introduced positive enhancements to the existing preferential tax regimes for funds, family owned investment holding vehicles (“FIHVs”) managed by single family offices, and carried interest.
A&M Tax Talks: Tax Policy Updates
June 11, 2026
The Tax Policy and Controversy (TPC) group at A&M Tax brings forward expert perspectives on the key developments shaping global tax policy.