The OECD reports on BEPS highlighted certain challenges inherent in the implementation of transfer pricing rules. The report reviewed the transfer pricing guidance with the view to addressing some of those challenges. The new guidance transformed how tax authorities and multinationals deal with certain aspects of transfer pricing.
These aspects include a more robust approach to the performance of risks and functional analysis which demand tax authorities and business enterprises to fully understand how value is created with respect to development and exploitation of intellectual properties. Besides, the three tired approach to transfer pricing documentation requires tax authorities and multinationals to review and change the way they deal with documentation. Within this context it is imperative to deeply comprehend the principles of transfer pricing, its methodologies and practical application.
This two-day pre-conference workshop will focus on the transfer pricing principles, its methodologies and applications by means of case studies. Prior knowledge in transfer pricing, even though desirable, is not essential to participate. The workshop will evolve from the basics.
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