The economic boom in the African continent is occurring
during an epoch of changes in the international taxation
landscape, triggered by the outcome of the BEPS Project. Within
this context, transfer pricing legislations plays an important
role, but African tax administrations have identified transfer
pricing as one of the most significant risks to their tax
base.
By governing the allocation of profits between entities of
the same MNE groups, transfer pricing represents one of the
main tools through which profits deriving from business
investments may be shifted across different jurisdictions. It
is, therefore, not surprising that the BEPS Project has led to
a significant update of the OECD Transfer Pricing Guidelines
(TPG).
BonelliErede is partnering with International Tax
Review to present a webinar on the main
transfer pricing issues to consider when structuring
investments into Egypt and Ethiopia. Experts will discuss the
legal framework and transfer pricing rules in these countries,
the applicable transfer pricing methods and international
standards and the available tools available to MNEs to manage
their transfer pricing risks.
The discussion, moderated by Anjana Haines, editor of
International Tax Review and led by Stefano Simontacchi,
managing partner at BonelliErede in Milan, will be broadcast
live at 3.00 pm GMT on Wednesday April 19
2017. This will be followed by a Q&A session.
Register for the webinar here: https://www.brighttalk.com/webcast/720/251421.