
As jurisdictions begin implementing the OECD's Pillar Two framework, the interaction between transfer pricing policies and GloBE rules is becoming increasingly complex—and consequential. In this episode of the EY Transfer Pricing Roundup, EY host and Financial Services Transfer Pricing Leader, Jonathan Thompson is joined by EY International Tax and Transaction Services Partner, Eddie Holland to unpack the transfer pricing implications of Pillar Two, including: ☑️ The current status of Pillar 2 implementation ☑️Where TP and Pillar 2 interact ☑️How TP impacts transitional safe harbor calculations ☑️How to address non arm's length transactions and ☑️What you should be thinking about going into year end This discussion offers timely insights into how TP and Pillar Two intersect—and what that means for your global tax posture.
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Episode 70: Understanding the OECD Consultation on Intra-Group Services: Insights and more from the OECD

Episode 69: UK Transfer Pricing Update: HMRC Statistics and Enforcement Trends

Episode 68: IRAS Transfer Pricing Update – Version 8.0

Episode 67: Brazil Transfer Pricing Update: Insights from the first year of Arm's Length Transfer Pricing
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