This EY Oceania podcast series explores the latest developments in the OECD’s Base Erosion and Profit Shifting (BEPS) 2.0 Pillar One and Pillar Two international tax initiatives, focused from the perspective of Oceania multinational groups.
The series is made up of a collection of brief podcasts featuring EY Oceania subject-matter professionals, providing their insights and highlighting the key ‘must-know’ takeaways for Oceania-based groups, as the BEPS Pillars One and Two initiatives progress from design through implementation.
06 Episodes
Podcast Series
Presenters Tony Merlo Andrew Nelson Dean Madsen Liz Cullinan Jacqueline Bennett Caroline Wright
Presenters
Tony Merlo
EY Australia Tax Policy PartnerAndrew Nelson
EY Australia International Tax PartnerDean Madsen
EY New Zealand International Tax PartnerLiz Cullinan
Partner – International Tax and Transaction ServicesJacqueline Bennett
Partner – International Tax and Transaction ServicesCaroline Wright
Associate Partner – Tax Technology & TransformationIn this series
What the BEPS October 2021 Pillar 1 and 2 Statement means for Oceania multinationals
Presenters
EY Australia International Tax Partner
EY Asia Pacific Tax Policy Leader
What Oceania multinationals must know about the Pillar Two model rules
Presenters
EY Australia Tax Policy Partner
EY New Zealand International Tax Partner
How the BEPS Pillar Two rules could impact Oceania resources groups
Presenters
EY Australia Tax Policy Partner
EY Australia International Tax Partner
How the Pillar Two rules may impact Oceania financial services groups
Presenters
EY Australia Tax Policy Partner
Partner – International Tax and Transaction Services
Impact of BEPS Pillar Two model rules on taxpayer system technologies
Presenters
EY Australia Tax Policy Partner
Associate Partner – Tax Technology & Transformation
How can Australian taxpayers prepare for Pillar One?
Presenters
EY Australia Tax Policy Partner
EY Australia International Tax Partner