US multinationals that have traditionally established located holding companies in Europe are now faced with the decision to be re-shored or re-structured due to the diverging Pillar Two approaches between the United States and Europe. These decisions will have long-lasting effects on tax efficiency and compliance. A&M Tax experts, Alfonso A-Pallete, Ernesto Elizondo Contreras, and Stephanie Zuniga provide an overview of the potential outcomes for each option.
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