No Result
View All Result
SUBMIT YOUR ARTICLES
  • Login
Monday, February 9, 2026
TheAdviserMagazine.com
  • Home
  • Financial Planning
    • Financial Planning
    • Personal Finance
  • Market Research
    • Business
    • Investing
    • Money
    • Economy
    • Markets
    • Stocks
    • Trading
  • 401k Plans
  • College
  • IRS & Taxes
  • Estate Plans
  • Social Security
  • Medicare
  • Legal
  • Home
  • Financial Planning
    • Financial Planning
    • Personal Finance
  • Market Research
    • Business
    • Investing
    • Money
    • Economy
    • Markets
    • Stocks
    • Trading
  • 401k Plans
  • College
  • IRS & Taxes
  • Estate Plans
  • Social Security
  • Medicare
  • Legal
No Result
View All Result
TheAdviserMagazine.com
No Result
View All Result
Home IRS & Taxes

G7 Global Minimum Tax “Side-by-Side” Solution: Details & Analysis

by TheAdviserMagazine
5 months ago
in IRS & Taxes
Reading Time: 5 mins read
A A
G7 Global Minimum Tax “Side-by-Side” Solution: Details & Analysis
Share on FacebookShare on TwitterShare on LInkedIn


In June, the G7 announced a political agreement on a global minimum taxA tax is a mandatory payment or charge collected by local, state, and national governments from individuals or businesses to cover the costs of general government services, goods, and activities. “side-by-side” solution that would exclude US-parented groups from Pillar Two’s income inclusion rule (IIR) and undertaxed profits rule (UTPR). Negotiations over the practical details are ongoing, but the question lingers whether a side-by-side solution would systematically give US multinational enterprises (MNEs) an advantage over firms from the EU or other G7 countries.

There are several ways to understand “advantage,” and four questions to determine the answer:

Do US domestic corporate income taxA corporate income tax (CIT) is levied by federal and state governments on business profits. Many companies are not subject to the CIT because they are taxed as pass-through businesses, with income reportable under the individual income tax. rules make the US a tax haven?
Are US cross-border rules less stringent than Pillar Two rules?
In the absence of a side-by-side deal, would there be an advantage in either direction?
Beyond the policies themselves, are the compliance costs of US minimum tax rules less burdensome than Pillar Two?

The first is likely the most straightforward to answer. With a domestic tax rate of 21 percent and a separate corporate alternative minimum tax (CAMT) of 15 percent, the US is not a tax haven by Pillar Two standards. The US does not violate the spirit of the Pillar Two rules, given that it is a high-tax, high-substance jurisdiction. Ironically, throughout the BEPS 1.0 and 2.0 Projects, there has been more concern over certain EU Member States and some other small jurisdictions in this regard.

Second, the US Congress recently changed its international tax rules in the OBBBA—net CFC-tested income, or NCTI (formerly GILTI)—to produce an outcome similar to Pillar Two, despite the rules themselves being distinct. While NCTI’s rate is lower than 15 percent, and it still uses a blended formula instead of country-by-country, a PwC report finds that US companies paid an effective tax rate on their foreign income exceeding 15 percent in every year from 2012 to 2024. In 2021, the effective tax rate reached more than 25 percent. After factoring in less generous foreign tax crediting, the removal of the substance exclusion, lack of loss carryovers, and interest deductibility rules, the US system may be more stringent than Pillar Two.

Third, in the absence of a deal, US firms could face double taxationDouble taxation is when taxes are paid twice on the same dollar of income, regardless of whether that’s corporate or individual income. due to ordering rules and the treatment of tax credits under Pillar Two—even though the US was a first mover in adopting a minimum tax in 2017, before Pillar Two’s inception. In 2020, the OECD agreed with this general principle and outlined a side-by-side concept (called co-existence) in its own Pillar Two blueprint.

Finally, the issue of a compliance cost advantage is nuanced and less than clear where an advantage may lie.

For starters, it is dubious to assume an equal tax compliance burden across all countries. The US tax code is extraordinarily complex, with much of the complexity and compliance burden due to rules related to taxing business income. The IRS estimates taxpayers will spend more than 7 billion hours and incur $148 billion in out-of-pocket costs to comply with the federal tax code in 2025, amounting to total monetized compliance costs of $536 billion, or nearly 1.8 percent of GDP. Most of this is attributed to various business tax filings, including corporate income tax returns, which cost the average corporation about $15,000 and the average large corporation about $140,000 to complete. A limited number of studies compare compliance costs across countries, generally finding that the US has a relatively complicated tax code, especially for businesses, leading to relatively high compliance costs.

More relevant to the side-by-side solution, however, is the specific compliance burden comparison of NCTI (GILTI) and IIR/UTPR. Studies indicate the compliance burdens of both GILTI and Pillar Two are considerable, though it is unclear which is more burdensome. In a Tax Foundation survey last year of 21 large MNEs, we found that GILTI, rather than Pillar Two, was the more dominant factor driving compliance costs, in part because of the US focus (with all but one company based in the US) and because the GILTI rules have been in place longer (beginning with enactment in 2017 and clarified in subsequent regulations). All companies reported an increase in tax complexity since 2017, with a weighted average increase in compliance costs of 32 percent from 2017 to 2023. Most companies attributed compliance cost growth primarily to increasingly complicated international rules, especially Tax Cuts and Jobs Act reforms (GILTI, BEAT, and FDII), with a smaller number of companies citing Pillar Two rules.

On average, companies estimated that 43 percent of their federal income tax compliance costs were due to rules relating to foreign-source income, amounting to about $4 million per company in tax year 2022 or 2023. Companies cited GILTI most commonly as the factor driving the cost of complying with federal income tax, and some companies mentioned it (and foreign income inclusion) as a factor contributing to the cost of complying with US state income tax.

According to a 2022 study of Pillar Two compliance costs in Germany, authors predicted that German MNEs would pay around €319 million (about €703,000 per firm on average) for implementation and €100 million (about €214,000 per firm) annually for ongoing compliance, with higher costs for larger firms. Also, last year, Deloitte surveyed 500 tax leaders and CFOs of MNEs from around the world, finding 70 percent of respondents expect to spend $500,000 or more annually on compliance costs related to Pillar Two, and 25 percent expect to spend more than $1 million. Yet only 53 percent expect higher tax liabilities because of Pillar Two, suggesting many companies expect compliance costs to exceed tax payments for Pillar Two. The survey also indicated 77 percent of respondents expect Pillar Two will lead to more tax disputes due to the “complexity of the new rules, lack of clarity and certainty, and varying interpretations by countries.”

Given how complex both systems are, it is hard to calculate an obvious compliance cost advantage for either the US system or the OECD rules. Furthermore, as the international policies continue to change, it is difficult to predict future compliance costs. If permanent safe harbors are negotiated between the EU, G7 countries, and other Pillar Two-implementing jurisdictions, that could help offset some additional costs of complying with Pillar Two.

To make the side-by-side solution palatable to all participating countries, it is important to minimize unfair advantages for different jurisdictions. However, it is just as important to determine whether the solution should be at the international or domestic level.

Rather than returning to a world of retaliatory tax measures and transatlantic disputes, the OECD should continue to decrease the compliance costs of Pillar Two by simplifying the rules to reduce any possible risk that the US has a compliance cost advantage and working with G7 countries on a side-by-side solution. After all, it was the OECD itself that first envisioned such an arrangement.

Stay informed on the tax policies impacting you.

Subscribe to get insights from our trusted experts delivered straight to your inbox.

Subscribe

Share this article

Twitter
LinkedIn
Facebook
Email



Source link

Tags: AnalysisdetailsGlobalMinimumSidebySideSolutiontax
ShareTweetShare
Previous Post

Proposed Rules are a Mixed Bag but Take Important Steps to Bolster Primary Care 

Next Post

Nvidia invests $5B and emerges as key customer for Intel server CPUs

Related Posts

edit post
¡NUEVO! Xpert Servicio Integral™ en Español | TaxAct ®

¡NUEVO! Xpert Servicio Integral™ en Español | TaxAct ®

by TheAdviserMagazine
February 9, 2026
0

Ya sea que el español sea tu lengua materna o simplemente el que te resulte más cómodo, ahora puedes presentar...

edit post
When Does a Tax Return Mistake Become a Crime? – Houston Tax Attorneys

When Does a Tax Return Mistake Become a Crime? – Houston Tax Attorneys

by TheAdviserMagazine
February 7, 2026
0

The IRS has limited resources. This is true of its human capital and its technology resources. Even with significantly more...

edit post
What is Form 1040 | When Should you File Your 1040 to IRS

What is Form 1040 | When Should you File Your 1040 to IRS

by TheAdviserMagazine
February 6, 2026
0

Updated for tax year 2025. Knowing your way around IRS Form 1040 can make the tax filing process much easier....

edit post
What Is Form 1040-NR? U.S. Tax Guide for Nonresidents

What Is Form 1040-NR? U.S. Tax Guide for Nonresidents

by TheAdviserMagazine
February 6, 2026
0

As tax filing season rolls around, it’s not just U.S. citizens who need to file their taxes. Nonresidents who earn...

edit post
Evaluating Washington’s Proposed Millionaires’ Tax

Evaluating Washington’s Proposed Millionaires’ Tax

by TheAdviserMagazine
February 6, 2026
0

Washington lawmakers are holding their first hearing on long-anticipated legislation that would create a new 9.9 percent taxA tax is...

edit post
Wage Garnishment on Student Loans: How it Works and How to Stop It

Wage Garnishment on Student Loans: How it Works and How to Stop It

by TheAdviserMagazine
February 6, 2026
0

Key Takeaways   Student loan wage garnishment happens after default, which typically occurs after 270 days of nonpayment on federal student loans.  The...

Next Post
edit post
Nvidia invests B and emerges as key customer for Intel server CPUs

Nvidia invests $5B and emerges as key customer for Intel server CPUs

edit post
Raise Your Revenue Process Transformation IQ At B2B Summit EMEA

Raise Your Revenue Process Transformation IQ At B2B Summit EMEA

  • Trending
  • Comments
  • Latest
edit post
Most People Buy Mansions But This Virginia Lottery Winner Took the Lump Sum From a 8 Million Jackpot and Bought a Zero-Turn Lawn Mower Instead

Most People Buy Mansions But This Virginia Lottery Winner Took the Lump Sum From a $348 Million Jackpot and Bought a Zero-Turn Lawn Mower Instead

January 10, 2026
edit post
Medicare Fraud In California – 2.5% Of The Population Accounts For 18% Of NATIONWIDE Healthcare Spending

Medicare Fraud In California – 2.5% Of The Population Accounts For 18% Of NATIONWIDE Healthcare Spending

February 3, 2026
edit post
Utility Shutoff Policies Are Changing in Several Midwestern States

Utility Shutoff Policies Are Changing in Several Midwestern States

January 9, 2026
edit post
Key Nevada legislator says lawmakers will push for independent audit of altered public record in Nevada OSHA’s Boring Company inspection 

Key Nevada legislator says lawmakers will push for independent audit of altered public record in Nevada OSHA’s Boring Company inspection 

February 4, 2026
edit post
Where Is My South Carolina Tax Refund

Where Is My South Carolina Tax Refund

January 30, 2026
edit post
Washington Launches B Rare Earth Minerals Reserve

Washington Launches $12B Rare Earth Minerals Reserve

February 4, 2026
edit post
Savannah Guthrie pleads ‘we will pay’ as search for her missing mother continues after a week

Savannah Guthrie pleads ‘we will pay’ as search for her missing mother continues after a week

0
edit post
Plains All American Streamlines, Targets Crude Growth Amid NGL Exit

Plains All American Streamlines, Targets Crude Growth Amid NGL Exit

0
edit post
Cuba escalates surveillance, harassment of political prisoners’ families, Amnesty says – JURIST

Cuba escalates surveillance, harassment of political prisoners’ families, Amnesty says – JURIST

0
edit post
Fast lane tolls set ahead of next month’s opening

Fast lane tolls set ahead of next month’s opening

0
edit post
Should You Buy AT&T Stock After Its Amazon Leo Win?

Should You Buy AT&T Stock After Its Amazon Leo Win?

0
edit post
I Was a ‘High Maintenance’ American. Here’s How Belize Changed My Life.

I Was a ‘High Maintenance’ American. Here’s How Belize Changed My Life.

0
edit post
Savannah Guthrie pleads ‘we will pay’ as search for her missing mother continues after a week

Savannah Guthrie pleads ‘we will pay’ as search for her missing mother continues after a week

February 9, 2026
edit post
Autonomous AI Agents Are Using Crypto at Scale—and Breaking Things Along the Way

Autonomous AI Agents Are Using Crypto at Scale—and Breaking Things Along the Way

February 9, 2026
edit post
Cuba escalates surveillance, harassment of political prisoners’ families, Amnesty says – JURIST

Cuba escalates surveillance, harassment of political prisoners’ families, Amnesty says – JURIST

February 9, 2026
edit post
*HOT* Adidas Men’s Essentials Fleece Regular Tapered Pants only .40 shipped, plus more!

*HOT* Adidas Men’s Essentials Fleece Regular Tapered Pants only $10.40 shipped, plus more!

February 9, 2026
edit post
Nancy Guthrie family faces  million Bitcoin ransom demand: How such a payment would take place

Nancy Guthrie family faces $6 million Bitcoin ransom demand: How such a payment would take place

February 9, 2026
edit post
SHELL-Aktie: Analysten bewerten vorwiegend mit „ÜBERGEWICHTEN“ & „HALTEN“!

SHELL-Aktie: Analysten bewerten vorwiegend mit „ÜBERGEWICHTEN“ & „HALTEN“!

February 9, 2026
The Adviser Magazine

The first and only national digital and print magazine that connects individuals, families, and businesses to Fee-Only financial advisers, accountants, attorneys and college guidance counselors.

CATEGORIES

  • 401k Plans
  • Business
  • College
  • Cryptocurrency
  • Economy
  • Estate Plans
  • Financial Planning
  • Investing
  • IRS & Taxes
  • Legal
  • Market Analysis
  • Markets
  • Medicare
  • Money
  • Personal Finance
  • Social Security
  • Startups
  • Stock Market
  • Trading

LATEST UPDATES

  • Savannah Guthrie pleads ‘we will pay’ as search for her missing mother continues after a week
  • Autonomous AI Agents Are Using Crypto at Scale—and Breaking Things Along the Way
  • Cuba escalates surveillance, harassment of political prisoners’ families, Amnesty says – JURIST
  • Our Great Privacy Policy
  • Terms of Use, Legal Notices & Disclosures
  • Contact us
  • About Us

© Copyright 2024 All Rights Reserved
See articles for original source and related links to external sites.

Welcome Back!

Login to your account below

Forgotten Password?

Retrieve your password

Please enter your username or email address to reset your password.

Log In
No Result
View All Result
  • Home
  • Financial Planning
    • Financial Planning
    • Personal Finance
  • Market Research
    • Business
    • Investing
    • Money
    • Economy
    • Markets
    • Stocks
    • Trading
  • 401k Plans
  • College
  • IRS & Taxes
  • Estate Plans
  • Social Security
  • Medicare
  • Legal

© Copyright 2024 All Rights Reserved
See articles for original source and related links to external sites.