-
Sponsored by NeraYves Hervé and Philip de Homont of NERA Economic Consulting explain how multinationals can plan to mitigate losses faced in their manufacturing transfer pricing model.
-
Sponsored by VdAJoana Lobato Heitor and Ana Raquel Costa of Vieira de Almeida outline how the Angolan tax world has changed in 2020 and consider its impact on foreign investors.
-
Sponsored by EY in GreeceConstantina Nicolaou of EY in Greece explains how recent case law and legislative developments have paved the way towards better implementation of statute of limitations rules.
-
Sponsored by KPMG ChinaITR and KPMG China will host a webinar on October 21 to discuss how multinationals could improve operational and tax efficiency via value chain re-imagination.
-
Sponsored by Russell McVeaghBrendan Brown and Mitchell Fraser of Russell McVeagh consider the role of tax in political parties' manifestos prior to New Zealand’s October 2020 general election, with a particular focus on a possible digital services tax.
-
Sponsored by DLA Piper AustraliaPaul McNab of DLA Piper presents the tax highlights from September 2020 in Australia, which includes clarifications to the hybrid mismatch rules and wider discussion on legal professional privilege.
-
Sponsored by SkattRodrigo Covarrubias of Skatt outlines the key elements of the latest bill presented to Congress on reforming the digital economy, and considers the effectiveness of the provisions (in Spanish).
-
Sponsored by Deloitte Transfer Pricing GlobalKerwin Chung and Iva Georgijew assess the impact of the coronavirus pandemic on global transfer pricing and consider how the concept of the arm’s-length principle will subsequently evolve.
-
Sponsored by Deloitte Transfer Pricing GlobalDeloitte’s practitioners from across the globe report on four of the most prominent transfer pricing (TP) controversy cases from the recent past: Adecco (Denmark), Glencore (Australia), Cameco (Canada), and Philips (France).