Reforms prepared by the OECD and the EU will dramatically change the world of international taxation, as on 1 January 2024 the EU Directive implementing the rules of Pillar 2 of the BEPS 2.0 initiative (15% minimum level of taxation) came into force.
The rules of the EU Directive are complex, full of complicated exceptions and choices, and therefore every large Czech group and Czech subsidiary of a large foreign group should be considering the impact that the complex global minimum tax rules will have on them.