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Pillar Two Hybrid Arbitrage: stormy waters ahead?

Cross-border Tax Talks

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Navigating International Tax Reforms

This chapter explores the intricacies of U.S. tax regulations in the context of international tax reforms, focusing on the OECD's Pillar 2 guidelines. It discusses the challenges posed by hybrid arbitrage arrangements and the implementation of safe harbor rules, highlighting their impact on multinational companies. Additionally, the chapter emphasizes the varying treatment of financial instruments like preferred equity across jurisdictions, illustrating the complexities of compliance in a rapidly evolving tax landscape.

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