Closed 32 events
Lifecycle stage Response Published
338 days in stage

Multinational Top-up Tax and Domestic Top-up Tax

The UK is implementing Pillar 2 of the OECD's global minimum tax agreement, which introduces a Multinational Top-up Tax (applying to large multinational enterprises with global revenue over €750m) and a Domestic Top-up Tax (applying to large UK-resident companies). HM Revenue & Customs leads implementation through the Multinational Enterprises (Financial Transparency) Bill, with active consultation on draft guidance and further amendments ongoing.


Showing 32 key signals from 32 total
Family
Signal
Year
Body
Role

2026

2 events

2025

11 events
4 Apr 2025 | Policy paper HM Revenue & Customs linked

The Multinational Top-up Tax (Pillar 2 territories, qualifying domestic top-up taxes and accredited qualifying domestic top-up taxes) Regulations 2025

This tax information and impact note describes a Statutory Instrument being laid as part of the UK’s implementation of Pillar 2. This Instrument provides a list of Pillar 2 territories, qualifying domestic top-up taxes, and accredited qualifying domestic top-up taxes.

2024

7 events
6 Nov 2024 | Policy paper HM Revenue & Customs Context · primary home: Pillar 2 Global Minimum Tax I… linked

Pillar 2: Multinational Top-up Tax and Domestic Top-up Tax amendments

This tax information and impact note is about the amendments being made to the Multinational Top-up Tax and Domestic Top-up Tax, which were brought in as part of the UK's implementation of Pillar 2.

2023

9 events

2022

2 events
20 Jul 2022 | Policy paper HM Revenue & Customs linked

Introduction of the new multinational top-up tax

In line with the agreement on a 2 Pillar solution to reform the international tax system, this measure will help to ensure multinational enterprises operating within the UK pay a global minimum level of tax.

2016

1 event