Skip to main content Skip to accessibility
This website is not compatible with your web browser. You should install a newer browser. If you live in Jersey and need help upgrading call the States of Jersey web team on 440099.
Government of Jerseygov.je

Information and public services for the Island of Jersey

L'înformâtion et les sèrvices publyis pouor I'Île dé Jèrri

Multinational Corporate Income Tax (Jersey) Law 202- & Multinational Taxation (Global Anti-Base Erosion – IIR Tax) (Jersey) Law 202-

A formal published “Ministerial Decision” is required as a record of the decision of a Minister (or an Assistant Minister where they have delegated authority) as they exercise their responsibilities and powers.

Ministers are elected by the States Assembly and have legal responsibilities and powers as “corporation sole” under the States of Jersey Law 2005 by virtue of their office and in their areas of responsibility, including entering into agreements, and under any legislation conferring on them powers.

An accurate record of “Ministerial Decisions” is vital to effective governance, including:

  • demonstrating that good governance, and clear lines of accountability and authority, are in place around decisions-making – including the reasons and basis on which a decision is made, and the action required to implement a decision

  • providing a record of decisions and actions that will be available for examination by States Members, and Panels and Committees of the States Assembly; the public, organisations, and the media; and as a historical record and point of reference for the conduct of public affairs

Ministers are individually accountable to the States Assembly, including for the actions of the departments and agencies which discharge their responsibilities.

The Freedom of Information Law (Jersey) Law 2011 is used as a guide when determining what information is be published. While there is a presumption toward publication to support of transparency and accountability, detailed information may not be published if, for example, it would constitute a breach of data protection, or disclosure would prejudice commercial interest.

A decision made 13 August 2024:

Decision Reference:  MD-TR-2024-611

Public

Subject: Lodging of Draft  Multinational Corporate  Income Tax (Jersey) Law  202- & Draft Multinational  Taxation (Global Anti-Base  Erosion – IIR Tax) (Jersey)  Law 202-

 

Report Title: Draft Multinational  Corporate Income Tax  (Jersey) Law 202- & Draft  Multinational Taxation  (Global Anti-Base Erosion  – IIR Tax) (Jersey) Law  202-

Public

Decision(s):

The Minister decided to request that the Greffier of the States lodge 'au Greffe' the Draft Multinational Corporate Income Tax (Jersey) Law 202- and the Draft Multinational Taxation (Global Anti-Base Erosion – IIR  Tax) (Jersey) Law 202-.

Reason for Decision(s):

In October 2021, the Organisation for Economic Co-operation and Development (OECD)/G20 Inclusive Framework issued a political statement setting out a global agreement on a 2-pillar solution to the tax challenges arising from the digitalisation of the economy – Jersey joined that political statement, alongside 136 jurisdictions.  The Pillar 2 Model Rules, released on 20th December 2021, are part of the 2-pillar solution and  were developed by delegates from all member jurisdictions of the OECD Inclusive Framework on Base  Erosion and Profit Shifting. They were agreed and approved by consensus.  The Draft Multinational Corporate Income Tax (Jersey) Law 202- and Draft Multinational Taxation (Global  Anti-Base Erosion – IIR Tax) (Jersey) Law 202- will, if approved, ensure that Jersey maintains its  political commitment made in 2023 and reaffirmed in 2024, regarding Pillar 2 implementation - to  introduce an Income Inclusion Rule and a Domestic Minimum Tax in Jersey for accounting periods  beginning on or after 1st January 2025.

Resource Implications: Implementing Pillar 2 involves the introduction of both a new top up tax and a new domestic  corporate income tax for large multinational groups of companies (MNEs) with global annual turnover  in excess of €750 million. The Pillar 2 regime will generate additional tax revenues for Jersey but it  is a substantial project that will require the development and introduction of a new Information  Technology system, as well as additional experienced international tax staff for Revenue Jersey. Funds have been allocated in the Government Plan for the cost of developing and implementing a new  Revenue Jersey Information Technology system to administer the introduction of Pillar 2 in Jersey.  Over the past few years, additional Revenue Jersey personnel and staff have been recruited to work  on the development of the Pillar 2 policy. Additional staffing will be needed in the future to support  the effective functioning of Pillar 2 compliance to the over 1,000 entities of MNE groups that will be  impacted by the introduction of Pillar 2 in Jersey.

 

Action Required: The Greffier of the States to lodge “au Greffe” the Draft Multinational Corporate Income Tax (Jersey)  Law 202- and the Draft Multinational Taxation (Global Anti-Base Erosion – IIR Tax) (Jersey) Law 202- with a request for debate in the States sitting which is scheduled to commence during October 2024.

Signature:

 

 

Signed By: Minister for Treasury and Resources

Date Signed:

 

 

Date of Decision (If different from Date Signed):

 

 

Back to top
rating button