With America stepping back from international tax cooperation, are discussions on reallocation of taxing rights (Pillar 1) now doomed? What are the implications for unilateral measures such as digital services taxes?

Without the US, can the global minimum corporate tax rate (Pillar 2) survive? What does this mean for countries such as the UK that have enacted Pillar 2? With the OECD process struggling is there any prospect that the UN talks – which the US have walked out of – will achieve anything?

Join us and an expert international panel to consider where tax co-operation goes from here.

Our Panel 

  • Chenai Mukumba - Executive Director, Tax Justice Network Africa
  • Paul Oosterhuis - Senior International Tax Practitioner, Skadden, Arps, Slate, Meagher & Flom, Washington DC
  • Tim Power - Director for Business and International Tax, HM Treasury, and Chair, OECD Committee on Fiscal Affairs
  • Tim Sarson - Head of Tax Policy, KPMG UK
  • Chair: Helen Miller, incoming Director of the Institute for Fiscal Studies

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