Action Matters: Does Your CbCR Support Your Tax Strategy?
Time is fast approaching for many MNEs to submit their CbCR with the revenue authorities. Before doing so, it is essential that you and other members of the senior management team fully understand the implications of how your data may be interpreted by the authorities.
Multiple tax authorities have made CbCR a key priority in light of the BEPS Action Plan, providing them access to global MNE information for the first time. This unprecedented level of transparency has transformed the process of preparing the CbCR from a mere compliance exercise into the preparation of a strategic tax risk management tool.
THE RETURN OF SECTION 301: WHAT DOES IT MEAN FOR APAC?
April 9, 2026
Section 301 is reshaping APAC trade. Explore risks from excess capacity probes and forced labor enforcement, plus tariff scenarios and mitigation steps.
Employer Compliance – 2025/26 - Employment Related Securities (ERS) Reporting
April 9, 2026
In this article, we outline the key ERS compliance deadlines coming up for employers, recent changes and common issues in relation to ERS reporting.
The New Safe Harbor for Tax Incentives Under Pillar Two: When Tax Incentives can be ‘Qualified’
April 8, 2026
Qualified Tax Incentives in Pillar Two: SBTI Safe Harbor criteria, substance cap, ETR effects, and MNE election mechanics under OECD guidance for MNE groups.
A&M Tax – Monthly Recap of EU and Dutch Tax Developments
April 8, 2026
The “Monthly Recap” is A&M’s monthly newsletter providing a concise overview of EU and Dutch tax developments.