Transfer pricing enters new age
International Tax Review is part of the Delinian Group, Delinian Limited, 4 Bouverie Street, London, EC4Y 8AX, Registered in England & Wales, Company number 00954730
Copyright © Delinian Limited and its affiliated companies 2024

Accessibility | Terms of Use | Privacy Policy | Modern Slavery Statement

Transfer pricing enters new age

International Tax Review’s 10th annual Global Transfer Pricing Forum will be an opportunity for transfer pricing professionals from business, government and private practice to focus on the key issues in related-party transactions.

They will get a chance to discuss the strength of the arm’s-length standard and prepare themselves and their organisations for the challenges to come in areas such as transfer pricing dispute resolution, tax efficient supply chain management and the role transfer pricing plays in financial transactions.

The economic challenge for governments has changed in recent months. From being one of how to create growth so their economies came out of recession, it has become a battle to reduce public debt. Budget deficits of hundreds of billions of dollars mean that every source of income is being tapped like never before. Transfer pricing is one of those.

And if officials are prioritising transfer pricing for revenue, it means that tax and transfer pricing executives need to be aware of the different approaches tax authorities around the world are taking in this area.

Not only are jurisdictions with existing transfer pricing rules looking to enforce them more strictly, other countries have put regulations in place for the first time. The challenge for them is to ensure they have the right expertise to operate, or if they do not, to know where to get those skills.

The unprecedented financial crisis over the last two years has raised serious questions for taxpayers. For example, is it credible to use lossmaking comparables when setting prices now? Will this practice be acceptable to tax authorities? How do you deal with the increase in jurisdictions that now require documentation? What is the most efficient way to coordinate the production of multiple transfer pricing reports? Are advance pricing agreements worthwhile if economies can change so quickly? Is there scope to renegotiate them? What new dispute resolution mechanisms, other than litigation, are available?

At International Tax Review’s 10th annual Global Transfer Pricing Forum in Amsterdam on September 15 and 16, leading tax directors, officials and advisers will analyse the key issues for transfer pricing managers today and give their insights on the best transfer pricing strategies.

The foremost transfer pricing specialists will tackle issues such as:

  • The future of the arm’s-length standard;

  • Technology-based IP and transfer pricing;

  • Tax-efficient supply chain management; and

  • Dispute resolution

This is in addition to the, by now regular sessions on financial transactions, marketing intangibles and emerging markets developments.

This is your opportunity to hear their views, increase your understanding and prepare for the future of transfer pricing. Over the last 10 years, the Global Transfer Pricing Forum has proved to be the most vibrant and insightful event for the discussion of the critical issues in the field.

more across site & bottom lb ros

More from across our site

The reported warning follows EY accumulating extra debt to deal with the costs of its failed Project Everest
Law firms that pay close attention to their client relationships are more likely to win repeat work, according to a survey of nearly 29,000 in-house counsel
Paul Griggs, the firm’s inbound US senior partner, will reverse a move by the incumbent leader; in other news, RSM has announced its new CEO
The EMEA research period is open until May 31
Luis Coronado suggests companies should embrace technology to assist with TP data reporting, as the ‘big four’ firm unveils a TP survey of over 1,000 professionals
The proposed matrix will help revenue officers track intra-company transactions from multinationals
The full list of finalists has been revealed and the winners will be presented on June 20 at the Metropolitan Club in New York
The ‘big four’ firm has threatened to legally pursue those behind the letter, which has been circulating on social media
The guidelines have been established in the wake of multiple tax scandals and controversies that have rocked the accounting profession
KPMG Netherlands’ former head of assurance also received a permanent bar and $150,000 fine; in other news, asset management firm BlackRock lost a $13.5bn UK tax appeal
Gift this article