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Hungarian entities that are subject to Pillar Two rules are obligated to provide information to the Hungarian Tax Authority regarding their top-up tax liability as well as the multinational enterprise (MNE) group or large domestic group of which they are a part; the government has now published draft forms for supplying this information.The reporting obligation must be fulfilled within 12 months of the beginning of the tax year in which the MNE Group becomes subject to Pillar Two rules. To help taxpayers to prepare to meet their global minimum tax obligations, the Hungarian Tax Authority has published the draft version of...