Pillar Two in Greece
Greece has implemented OECD Pillar Two through Νόμος 5100/2024 (Law 5100/2024). Each applies to fiscal years beginning on or after the respective date: the IIR from 2023-12-31, the QDMTT from 2023-12-31, the UTPR from 2024-12-31.
Implementation Timeline
Each rule applies to fiscal years beginning on or after the date shown.
Quick reference
| Rule | Effective date | Status |
|---|---|---|
| IIR — Income Inclusion Rule | Fiscal years beginning on or after 2023-12-31 | In force OECD qualified |
| UTPR — Undertaxed Profits Rule | Fiscal years beginning on or after 2024-12-31 | In force OECD review pending |
| QDMTT — Qualified Domestic Minimum Top-up Tax | Fiscal years beginning on or after 2023-12-31 | In force OECD qualified |
| QDMTT Safe Harbour | Available alongside the QDMTT | Case-by-case |
Implementing legislation
- Νόμος 5100/2024 (Law 5100/2024) — EU Directive 2022/2523 transposition
Practical implications
MNE groups parented in Greece are subject to the IIR for fiscal years beginning on or after 2023-12-31. Where a subsidiary's jurisdictional effective tax rate (ETR) falls below 15%, top-up tax is computed and paid in Greece (as the jurisdiction of the parent entities), and the group must also file the GloBE Information Return (GIR).
MNE groups with constituent entities in Greece are subject to Greece's QDMTT for fiscal years beginning on or after 2023-12-31. Where the conditions of the QDMTT Safe Harbour are met, the IIR/UTPR computation at the parent jurisdictions may be exempted, reducing the burden of dual computation.
Recent legislative developments
- 2024: Νόμος 5100/2024 promulgated — IIR · QDMTT in force
Related terms
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- OECD Inclusive Framework — Updated Central Record for Purposes of the Global Minimum Tax, approved 2026-05-11 (current as at 2026-05-01). OECD Global Minimum Tax
- Ανεξάρτητη Αρχή Δημοσίων Εσόδων (AADE) — Greece Tax Authority. www.aade.gr
- Εθνικό Τυπογραφείο — Greece 공식 official gazette. www.et.gr
Disclaimer
This page is reference information prepared as of 2026-05-28 by synthesising the primary sources listed above, and is not legal or tax advice. Before applying any of this material in practice, please:
- Verify the latest legislation, administrative guidance, and tax authority notices
- Obtain review by a qualified Pillar Two specialist
- Reassess applicability against the specific facts and circumstances of the group
Translation note. The authoritative version of this page is the Korean original (국가별 현황 › 그리스). This English version is provided for accessibility and may not capture every nuance of the original sources. Where precision matters, please refer to the Korean original or to the source legislation in its original language.