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All Episodes

PwC's Tax Bites Podcast — 70 episodes

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Title
1

CBAM Business impact

2

Rewrite of OECD TP Guidelines chapter on intra-group services

3

European Tax Omnibus proposal

4

CBAM Unpacked: What it is and why it matters now

5

Transfer Pricing audits

6

Trade and tariffs update – US IEEPA Tariffs Overturned and the EU–India Trade Deal

7

Tax dispute resolution – Navigating tax controversy around cross boarder finance flows

8

The importance of data readiness for tax audits. How data is used by VAT Authorities

9

International Tax Strategy for 2026: Aligning global tax policy changes with business operations

10

DAC 7

11

Inside the OECD Pillar 2 Side-by-Side package: Key features and insights

12

Tax Webinar (26/9) Navigating Shifts in Global Tax Policy: Implications for Businesses

13

Amended penalty regime for first offence

14

DAC6

15

Pillar 2 and the US Tax Regime

16

Belgium’s new government agreement: First insights

17

VAT in the Digital Age (ViDA)

18

New January 2025 OECD Guidance on Pillar 2

19

Draft DAC9 Directive seeking to facilitate Pillar 2 compliance in the EU - What’s in it?

20

Belgian QDMTT return - how does it look?

21

The Belgian government negotiations: what’s on the table?

22

What’s going on at the UN? The draft Terms of Reference for negotiating a Framework Convention on International Tax Cooperation

23

Pillar 2 latest state of play & a closer look into Belgium’s implementation

24

New Administrative Guidance on Pillar 2 and new timeline Pillar 1 - Amount A

25

Future-proofing your statutory reporting function (Part 5)

26

Decoding CBAM: Navigating Carbon Pricing in the EU

27

How to get Pillar 2 ready: a step-by-step approach

28

Pillar One, Amount A of the Two-Pillar project: the next steps.

29

Future-proofing your statutory reporting function (Part 4)

30

The new BEFIT proposal and International Tax Webinar Trilogue

31

Amount B is back - what does it mean?

32

Future-proofing your statutory reporting function (Part 3)

33

Future-proofing your statutory reporting function (Part 2)

34

Future-proofing your statutory reporting function (Part 1)

35

The tax dimension of business transformations

36

OECD issues Administrative Guidance on Pillar 2

37

Incentives

38

Discussion draft on Pillar One - Amount B published

39

Tax certainty in an uncertain world

40

Looking ahead at tax policy in uncertain times.

41

Tax opportunities in ERP transformations

42

Digesting the Pillar 1 progress report

43

One year after the publication of the Fit For 55 Package - Where do we stand?

44

EU commission proposal to tackle the debt-equity bias in taxation (DEBRA)

45

E-invoicing trends in 2022 - another step towards tax information transparency

46

Pillar Two model rules

47

Proposed implementation of the minimum tax in the EU and the unshell proposal

48

The Global Minimum tax for MNE’s

49

How can taxpayer’s fundamental rights bring balance to the ever increasing powers of the tax authorities in the EU?

50

Update on China Tax Policy

51

The inclusive framework statement of 8 October 2021 explained!

52

Recovering from COVID-19 - can tax play a role?

53

The fit for 55 package : (R)evolution in green taxation

54

Global minimum taxation - US vs. EU what to expect?

55

What does a future-proof tax reporting function look like?

56

Tax Control Framework: be in control of your taxes - and prove it !

57

Public reporting on tax information (public CBCR)

58

EU Roadmap for Business Taxation: EU Dynamite?

59

Revisiting PwC’s Tax webinar week: In pursuit of a new tax equilibrium

60

Green Deal and green recovery: the pivotal role of the private sector

61

Tax Controversies: why prevention is better than cure

62

Work from anywhere - the tax impact of flexibility

63

The Biden administration - What should we expect on the tax policy front?

64

How do you keep the effect of COVID at arm's length?

65

Tax in 2021 - what can we expect?

66

Recent steps towards increased tax transparency

67

Digitalisation of the economy— the wide impact of pillars 1 and 2

68

De Croo 1 and corporate taxation

69

Top 10 effects of Brexit on Direct Tax

70

Beneficial ownership: managing the withholding tax trap