Latest news & developments
Tax bites podcast – Trade and tariffs update – US IEEPA Tariffs Overturned and the EU–India Trade Deal Podcast
This episode covers the US Supreme Court’s ruling on IEEPA tariffs and the latest developments in the EU’s trade agenda, including the newly agreed EU–India trade agreement, and what it could mean for your businesses. Listen here: https://www.pwc.be/en/services/tax-and-legal/tax-bites-podcast-series/episode-63-ieepa-tariffs-refunding.html About the speakers Pieter Deré (Host) Giovanni Gijsels Missed the previous episode(s)?: You can listen
Update on the Pillar 2 Advance tax payments
Under the Pillar 2 legislation, Belgium opted to apply the tax advance tax payments schedule applicable for corporate income tax to Pillar 2 top-up taxes under the Qualified Domestic Minimum Top-up Tax (QDMTT) and Income Inclusion Rule (IIR). If no advance tax payments are made in the course of the financial year, a surcharge of 6,75% on the top-up tax due (QDMTT or IIR) will be imposed with
Advance tax payments for assessment year 2027: mind the surcharge
Belgian companies/branches have the possibility (but not the obligation) to make advance tax payments during the financial year. If corporate taxpayers do not make sufficient advance tax payments, a tax surcharge of 6.75% will be applied on the amount of Belgian corporate income tax due (upon assessment) which is not covered by advance tax payments. It is therefore strongly recommended to ensure that sufficient advance tax payments are made timely to avoid or minimise this surcharge. Corporate
Tax audits are picking up – But the wave is over
The era of the large-scale tax audit “wave” in February is over. Tax audits in Belgium are increasingly spread throughout the year, and they are becoming more targeted, data-driven and multidisciplinary. Here’s what you need to know. What’s behind the yearly uptick? The Belgian Tax Authorities (BTA) have moved away from the traditional model of launching large-scale, sometimes announced, thematic audit campaigns – including in transfer pricing (TP). February and March do, however, typically still bring a visible uptick in
U.S. Supreme Court Strikes Down IEEPA-Based Tariffs: Constitutional Limits, Political Reaction, and What Comes Next for EU–US Trade
The U.S. Supreme Court has ruled that the administration exceeded its authority under the International Emergency Economic Powers Act (IEEPA) when imposing broad-based tariffs, including so-called “reciprocal” duties affecting the European Union and numerous other trading partners. The judgment is more than a technical trade decision. It is a constitutional clarification of the limits of
2026 compliance timeline – Key deadlines
With regulatory expectations continuing to tighten, staying compliant on time is more important than ever. Organizations face increasing pressure to meet key deadlines, making effective planning essential. To support you in navigating the year ahead, we are pleased to share a non‑exhaustive compliance timeline for 2026. This overview brings together the most important (in)direct tax and statutory accounting obligations, helping you anticipate what’s coming and stay well‑prepared throughout the year.
Tax bites podcast – International Tax Strategy for 2026: Aligning global tax policy changes with business operations
This podcast covers key points from our 6 February 2026 international tax webinar, including the Side‑by‑Side Package, updates on trade and tariffs, work mobility, and changes to the OECD Commentary. We also discuss expectations for 2026. If you’re interested in learning more or accessing the full webinar recording, please contact one of the presenters. Listen here: https://www.pwc.be/en/services/tax-and-legal/tax-bites-podcast-series/episode-62-international-tax-strategy-for-2026-aligning-global-tax-policy-changes-with-business-operations.html About the speakers
Belgium issues administrative clarification regarding the new form 275 CBC NOT
On 27 January 2026, the Belgian tax administration released updated guidance on the interpretation of the amended Country-by-Country Notification (“CbC Notification”) requirements (Form 275 CBC NOT). This follows the introduction of the amended Form 275 CBC NOT earlier in 2024 (New Royal Decree of 16 June 2024). As a reminder, all Belgian constituent entities within multinational enterprise (MNE) groups must submit a CbC Notification if the MNE group is subject