OECD Finalises Agreement on Global Minimum Tax | Current Affairs | Vision IAS
MENU
Home

Periodically curated articles and updates on national and international developments relevant for UPSC Civil Services Examination.

Quick Links

High-quality MCQs and Mains Answer Writing to sharpen skills and reinforce learning every day.

Watch explainer and thematic concept-building videos under initiatives like Deep Dive, Master Classes, etc., on important UPSC topics.

ESC

In Summary

  • OECD/G20 Inclusive Framework agreed on global minimum tax arrangements based on GloBE Model Rules to ensure MNEs pay minimum tax, reducing profit shifting.
  • The Global Minimum Tax Package includes simplification, tax incentive alignment, safe harbours, a level playing field, and domestic minimum tax protection.
  • The OECD/G20 Inclusive Framework on BEPS, launched in 2016 with 147 members including India, tackles BEPS through Pillar One (reallocating taxing rights) and Pillar Two (global minimum corporate tax).

In Summary

OECD/G20 Inclusive Framework on Base Erosion and Profit Shifting (BEPS)  have agreed on a side by side arrangement package for the co-ordinated operation of global minimum tax arrangements.

  • Global Minimum Tax: It is based on Global Anti-Base Erosion (GloBE) Model Rules. It aims to ensure that large multinational enterprises pay a minimum level of tax on their income in each jurisdiction where they operate, thereby reducing the incentive for profit shifting and placing a floor under tax competition, bringing an end to the race to the bottom on corporate tax rates. 
    • BEPS refers to tax planning strategies that multinational enterprises use to exploit loopholes in tax rules to artificially shift profits to low or no-tax locations as a way to avoid paying tax. (E.g.  through deductible payments like interest or royalties).

Global Min Tax Package

  • The package includes five key components
    • Simplification measures: Reduces compliance burdens for multinational enterprises (MNEs) and tax authorities.
      • MNEs are groups of companies and generally operate worldwide through locally incorporated subsidiaries or permanent establishments.
    • Tax incentive alignment: Introduces a targeted substance-based tax incentive safe harbour to align global treatment of tax incentives.
    • Safe harbours for qualifying MNEs: Available to MNE Groups with ultimate parent entities in eligible jurisdictions meeting minimum taxation requirements.
    • Level playing field: Includes evidence-based stocktake process to ensure fair treatment for all Inclusive Framework Members.
    • Domestic minimum tax protection: Reinforces qualified domestic minimum top-up tax regimes as the primary mechanism for protecting local tax bases, particularly in developing countries.

OECD/G20 Inclusive Framework on BEPS

  • Launched: 2016
  • Led by: OECD and G20
  • Objective: To tackle Base Erosion and Profit Shifting (BEPS) by multinational enterprises.
  • Membership: 147 countries and jurisdictions. (India is a member).
  • Key Pillars:
    • Pillar One: Reallocates taxing rights to market jurisdictions where profits are generated.
    • Pillar Two: Introduces a global minimum corporate tax (15%) to curb tax competition.
Watch Video News Today

Explore Related Content

Discover more articles, videos, and terms related to this topic

RELATED VIDEOS

3
News Today (Jan 06, 2026)

News Today (Jan 06, 2026)

YouTube HD
Circularity in Textile Structure

Circularity in Textile Structure

YouTube HD
Weekly Focus | India's Natural Wealth

Weekly Focus | India's Natural Wealth

YouTube HD

RELATED TERMS

3

Pillar Two

A component of the OECD/G20 BEPS framework that introduces a global minimum corporate tax rate of 15%, designed to limit tax competition and ensure MNEs pay a minimum level of tax regardless of where their profits are recorded.

Pillar One

A component of the OECD/G20 BEPS framework that reallocates taxing rights to market jurisdictions where profits are generated, shifting some of the taxing authority from the headquarters country to countries where consumers or users are located.

Substance-based tax incentive safe harbour

A provision within the Global Minimum Tax package that offers protection from certain top-up taxes for tax incentives granted by countries, provided that the incentives are linked to real economic activity within that jurisdiction.

Title is required. Maximum 500 characters.

Search Notes

Filter Notes

Loading your notes...
Searching your notes...
Loading more notes...
You've reached the end of your notes

No notes yet

Create your first note to get started.

No notes found

Try adjusting your search criteria or clear the search.

Saving...
Saved

Please select a subject.

Referenced Articles

linked

No references added yet