by Amy Virk
Private Client Services Director
26 November 2025
Articleby Amy Virk
Private Client Services Director
The OECD has released its first major update on mobility tax rules for remote working, specifically addressing home office permanent establishment (PE). This revised guidance is a significant development for multinational companies seeking to offer flexible working arrangements without automatically triggering PE risk. It’s a welcome move for global businesses managing cross-border teams and striving for flexibility without unexpected corporate tax exposure.
Key highlights from the updated commentary:
Practical actions for businesses:
Why this matters
The update reduces uncertainty and supports flexible work arrangements, but facts still matter. Companies must actively manage risk to avoid unexpected tax liabilities and reporting obligations. This is a positive step toward enabling global mobility strategies without compromising tax compliance.
How we can help your business
Navigating the OECD’s updated guidance requires careful planning and documentation. Our International Tax team can help businesses align remote work policies with the latest OECD standards, conduct PE risk assessments for cross-border roles, and provide compliance support to ensure reporting obligations are met and treaty protections applied. We also offer strategic advice to develop flexible working arrangements that attract and retain talent while minimising tax exposure.
For tailored guidance or a review of your current remote work arrangements, please contact our Global Mobility Tax team here, so that we can help maximise your potential.
Click here to read the 2025 Update to the OECD Model Tax Convention in full.