Issues related to corporate and international taxation. Issues related to OECD Pillar 1 and Pillar 2 negotiations, agreements, implementation, and reporting related to the taxation of global income. Issues related to tax code sections 11, 55, 56A, and 59, 59A, 951A, 245A, 250, 174, and 41.
2026 · 2nd Quarter (Apr 1 - June 30)
THE COCA COLA COMPANY
Filed by THE WASHINGTON TAX & PUBLIC POLICY GROUP.
Open official filingSource-reported fields
Filing overview
- Type
- 2nd Quarter - Report
- Posted
- Jul 20, 2026
- Income
- $60,000.00
- Expenses
- Not reported
- Registrant
- THE WASHINGTON TAX & PUBLIC POLICY GROUP
- Client
- THE COCA COLA COMPANY
- Filing UUID
- e1507cd3-df9b-45e2-bab6-a1c8deaec518
- Termination date
- Not reported
Literal source text
Lobbying issues and bill citations
Relationship and amount limits
Bill links use only the filing year’s mathematically derived Congress plus the literal measure type and number in the issue description. Unmatched citations remain plain text. Politically.com does not join on names, infer advocacy positions, combine amendments, or calculate totals across filings.