Taxation (Multinational - Global and Domestic Minimum Tax) Rules 2024
Subsection (2) applies if an election for an MNE Group under subsection (3) applies to a Fiscal Year and the jurisdiction in which the Ultimate Parent Entity of the MNE Group is located (the UPE jurisdiction ).
8-225(2)
In computing the Total UTPR Top-up Tax Amount for the MNE Group for the Fiscal Year, treat the following as being zero: (a) the Top-up Tax for the Fiscal Year of each Low-Taxed Constituent Entity for the Fiscal Year of the MNE Group that is located in the UPE jurisdiction; (b) if there are one or more Joint Ventures of the MNE Group - the Ultimate Parent Entity ' s Allocable Share of the Top-up Tax of each Joint Venture, and of each of its JV Subsidiaries (if any), that is located in the UPE jurisdiction.
Election
8-225(3)
A Filing Constituent Entity for an MNE Group may make an election for the MNE Group under this subsection that applies to the Fiscal Year and the UPE jurisdiction if: (a) the Fiscal Year:
(i) does not exceed 12 months; and
(ii) starts on or before 31 December 2025; and
(b) the UPE jurisdiction has a corporate income tax that applies at a rate of at least 20%.
(iii) ends before 31 December 2026; and
8-225(4)
An election under subsection (3) is an Annual Election.
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