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March 6, 2023

Attend this week's Tax webcasts

Tuesday, March 7.  The outlook for global tax policy and controversy in 2023, 10:00 a.m. ET. On this webcast, EY tax policy and controversy leaders discuss significant tax law trends, highlighting leading practices for organizations as they navigate tax developments around the world. Register.

Tuesday, March 7. REIT Sector Trends and Economic Outlook, 11:30 a.m. ET. Please join our panel of professionals for a timely discussion on an economic outlook and how the latest capital markets landscape and new tax provisions are impacting the real estate investment trust (REIT) sector. Register.

Wednesday, March 8.  Are you Pillar Two-ready? Banking and Capital Markets: current industry insights, 11:00 a.m. ET.  Please join us for an industry-focused discussion in which panelists will examine the latest guidance from the Organisation for Economic Co-operation and Development (OECD) on the BEPS 2.0 project as it relates to the banking and capital markets industry. We will explore the current legislative landscape as jurisdictions begin to release further guidance and draft legislation on the global minimum tax rules under Pillar Two of BEPS. Register.

 Thursday, March 9. Pillar Two administrative guidance and safe harbors: implications for US multinationals, 1:00 p.m. ET. Recent administrative guidance from the OECD on the Global Anti-Base Erosion (GloBE) rules under Pillar Two addresses many critical issues for US multinationals but also raises many (unanswered) technical questions. The OECD’s transitional safe harbor rules, released at the end of 2022, could help relieve compliance burdens for US companies. Please join our team of Ernst & Young LLP subject matter professionals for a detailed discussion of these developments and practical approaches to help manage the reporting and tax-rate implications. Register.

Friday, March 10. State & local tax developments in the real estate industry, 1:00 p.m. ET. At the federal level, policymakers continue to debate the SALT deduction cap for US federal income tax purposes. At the same time, states continue to rapidly enact new pass-through entity taxes to address the SALT cap. State tax measures targeting high-net-worth individuals and corporate profits are also gaining steam with coordinated efforts by some state lawmakers. Please join our panel of experienced SALT professionals for a discussion of these topics. Register.