In today’s world the OECD, and as a consequence a multiple of tax authorities, requires the tax operating model of any multinational to be 100% aligned with the people that create the value for this multinational. In essence, economic reality is the main driver. Simply allocating an operating margin to a low-tax jurisdiction without the relevant people that create and manage this value in the same jurisdiction is a non-starter and creates the risk of double taxation!
Hence our call to Boards to understand the consequences of BEPS better and to make itself aware of any risk mitigating actions that can / should be considered for your organisation.
Key Highlights of the webinar
With this objective in mind, we invite you to an informative webinar where we will discuss the following:
9:00 AM - 10:00 AM Mexico, USA and Canada
11:00 AM - 12:00 PM Brazil
3:00 PM - 4:00 PM London (GMT)
4:00 PM - 5:00 PM Amsterdam (CET)
6:00 PM - 7:00 PM Moscow
Transfer Pricing Associates introduces TPA BEPS Desk. If you have any questions, or need more detailed advice on any aspects of BEPS related issues, please get in touch with us. The TPA Global network has alliance partners throughout the world, and the network can provide multi-disciplinary approach on today's critical transfer pricing challenges faced by multinational enterprises.