On 14 August 2024 the Minister for Treasury & Resources lodged draft legislation in the Island鈥檚 Parliament (the States Assembly) setting out the Island鈥檚 proposed implementation of the OECD鈥檚 Pillar Two framework.
Two separate pieces of draft legislation were lodged:
- Legislation proposing the introduction of an Income Inclusion Rule (鈥淚IR鈥�) 鈥� see:
- Legislation proposing the introduction of a new standalone Multinational Corporate Income Tax (鈥淢CIT鈥�) 鈥� see:
The proposed rules will apply only to multinational groups of enterprises (鈥淢NEs鈥�) with more than 鈧�750 million global annual revenue. All other businesses that are below the 鈧�750 million threshold will see no impact and will remain under Jersey鈥檚 existing zero/ten corporate income tax regime. For those large MNEs that are in scope, the new rules will apply for accounting periods beginning on or after 1 January 2025.
Under the MCIT, Jersey companies and Jersey branches of in scope MNEs will pay an effective rate of 15% on their Jersey profits; whilst under the IIR, Ultimate Parent Entities and/or Intermediate Parent Entities based in Jersey will be subject to a top-up tax in Jersey on their non-Jersey profits, in certain limited circumstances.
Consistent with the communication released by the Government of Jersey in May 2024, it has been confirmed that Jersey will not be implementing an Undertaxed Profits Rule at this time.
The draft legislation is scheduled for debate in Jersey鈥檚 Parliament on 1 October 2024.
Legislation implementing changes of a similar nature is expected to be published in Guernsey and the Isle of Man in due course.
If your group is potentially impacted by the proposed rules, please get in touch with 乐鱼(Leyu)体育官网 to find out more.
Paul Eastwood
Head of Tax (乐鱼(Leyu)体育官网 CD)
乐鱼(Leyu)体育官网 Crown Dependencies
Robert Rotherham
Partner, Tax
乐鱼(Leyu)体育官网 Crown Dependencies
Sarah Graham
Associate Director, Tax
乐鱼(Leyu)体育官网 Crown Dependencies
Matt Thomas
Director, Tax
乐鱼(Leyu)体育官网 Crown Dependencies