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Part 3Multinational top-up tax

Chapter 10Definitions etc

Miscellaneous

255Pillar Two rules

(1)In this Part references to the “Pillar Two rules” are to the Pillar Two model rules as interpreted in accordance with, and supplemented by—

(a)the Pillar Two commentary, and

(b)any further commentaries or guidance published from time to time by the OECD that are relevant to the implementation of the Pillar Two model rules.

(2)In subsection (1)

(3)Pillar Two rules apply to a multinational group, or a member of a multinational group, in an accounting period if—

(a)the group is a qualifying multinational group, or

(b)the group would be a qualifying multinational group but is not only as a result of Condition B in section 129(3) (requirement that at least one member located in the United Kingdom).