Document Type
Article
Publication Date
2-2025
Abstract
Under action 13 of the base erosion and profit shifting project, large multinational enterprises are obligated to file country-by-country reports with tax authorities. As of April 2024, over 80 countries have adopted a multilateral agreement on exchanging CbC reports. The United States has not adopted the multilateral agreement, but regulations require U.S.-based MNEs to file these reports with the IRS, which can then exchange them with other countries under tax treaties.
Recommended Citation
Avi-Yonah, Reuven S. "Should Country-by-Country Reporting Be Public?" Tax Notes International 117 (2025).
Comments
Reprinted with the permission of Tax Analysts.