Research Themes: Pillars 1&2

Can Pillar Two be Leveraged to Save Pillar One?

Empirical evidence on the Global Minimum Tax: What is a critical mass and how large is the Substance-Based Income Exclusion?

GloBE Administrative Guidance - The QDMTT and GILTI Allocation

GLoBE: Formative Policies and Politics of Pillar 2

International Tax Competition with a Coordinated Minimum Tax

Is the shift to taxation at the point of destination inexorable?

MNE Strategic Responses to the GloBE Rules

Pillar 2's Impact on Tax Competition

Pillar 2: Rule Order, Incentives, and Tax Competition

Pillar 2: Tax Competition in Low-Income Countries and the SBIE

Research Themes: Pillars 1&2

Should CFC Regimes Give a Tax Credit for Qualified Domestic Minimum Topup Tax?

Stabilizing "pillar one" corporate profit reallocation in an uncertain environment

Tax Competition, and Low Income Sub-Saharan African Countries

The Impact of the Global Minimum Tax on Tax Competition

The OECD Global Anti-Base Erosion ("GloBE") proposal

The OECD/G20 Inclusive Framework's Two-Pillar Solution

The Use of Accounting Information in the Tax Base in the Pillar 2 Global Minimum Tax: A Discussion of the Rules, Potential Problems, and Possible Alternatives

Transfer Pricing and the Arm's-Length Principle After the Pillars

What Ails Pakistan's Tax System?

What Is the Substance‐Based Carve‐Out under Pillar 2? And How Will It Affect Tax Competition?

WP23/01 GILTI and the GloBE

WP23/02 Reducing Complexity and Compliance Costs: A Simplification Safe Harbour for the Global Minimum Tax

WP23/05 Rationalizing formula apportionment