Webinar

Advice to handle the scrutiny of tax authorities on transfer pricing arrangements - 6 April - 9.30 am Paris time, 3.30 pm Beijing time

The webinar will address the current transfer pricing trends observed during tax audits faced by both French and Chinese taxpayers in a post BEPS (Base Erosion and Profit Shifting) momentum.

In these difficult times for State budgets and following several long-awaited key recommendations issued by the OECD on financial transactions and the implications of the Covid-19 pandemic, there is currently a high scrutiny from both competent tax authorities on transfer pricing arrangements.

We propose to give you a snapshot of the main contentious points discussed during such tax audits together with our recommendations on how to best deal with such enquiries from a strategical perspective.

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Program

• Central management services
• Financial transactions
• Business restructurings
• Advance Pricing Agreement (APA) & Mutual Agreement Procedure (MAP)
• Q&A

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