The organisation for cconomic co-operation and development launched the base erosion and profit shifting (BEPS) project in September 2013 to develop an action plan to standardize and modernize global tax policy. This is the second in a series of webcasts offering insight and analysis into how the BEPS initiative might be implemented and the effects of that implementation on middle market multinational entities.
In this webcast, we will address the most relevant and practical applications of BEPS Action 13: transfer pricing documentation and country-by-country (CbC) reporting. Several countries have started to implement legislation regarding CbC reporting requirements ahead of the expected schedule. In addition to a current update on BEPS, we will also address transfer pricing consequences in general and take a closer look of the different aspects of CbC reporting, including country views, expected changes and affects on industry, and expected revisions to tax administrative regulations.
The following tax experts from RSM share their views in this webinar:
- Ken Almand, Partner - RSM in the UK
- Anthony Hayley, Principal - RSM in Australia
- Enrique Rayon, Senior Manager - RSM in the US
- Mario van den Broek, Partner - RSM in the US