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This document sets out the Statement which has been discussed in the OECD/G20 Inclusive Framework on BEPS.
136
member jurisdictions
have agreed to it as of 8 October 2021. It is noted that not all Inclusive Framework members have joined
as of today.
OECD/G20 Base Erosion and Profit Shifting Project
Statement on a Two-Pillar Solution to
Address the Tax Challenges Arising
from the Digitalisation of the Economy
8 October 2021
Introduction
The OECD/G20 Inclusive Framework on Base Erosion and Profit Shifting (IF) has agreed a two-pillar
solution to address the tax challenges arising from the digitalisation of the economy. The agreed
components of each Pillar are described in the following paragraphs.
A detailed implementation plan is provided in the Annex.
Pillar One
Scope
In-scope companies are the multinational enterprises (MNEs) with global turnover above 20 billion euros
and profitability above 10% (i.e. profit before tax/revenue) calculated using an averaging mechanism with
the turnover threshold to be reduced to 10 billion euros, contingent on successful implementation including
of tax certainty on Amount A, with the relevant review beginning 7 years after the agreement comes into
force, and the review being completed in no more than one year.
Extractives and Regulated Financial Services are excluded.
Nexus
There will be a new special purpose nexus rule permitting allocation of Amount A to a market jurisdiction
when the in-scope MNE derives at least 1 million euros in revenue from that jurisdiction. For smaller
jurisdictions with GDP lower than 40 billion euros, the nexus will be set at 250 000 euros.
The special purpose nexus rule applies solely to determine whether a jurisdiction qualifies for the Amount A
allocation.
Compliance costs (incl. on tracing small amounts of sales) will be limited to a minimum.
© OECD 2021