This overview highlights the Commission’s (i) proposal to follow the OECD agreement on Pillars One and Two as regards the design of the EU single corporate tax rulebook, (ii) proposal for a 6th Anti-Money Laundering Directive, (iii) proposal to continue authorizing Germany to exclude the right to deduct input VAT for certain supplies for private purposes, (iv) provision of technical rules on automated exchange of information related to an import scheme, (v) decision to appeal the General Court’s decision on the Amazon State aid case in Luxembourg, and (vi) several actions brought against certain Member States on diverse tax matters.