Friday | Duration 150 minutes
Transfer pricing is one of the most difficult commercial and tax concerns for multinational corporations worldwide. The determination of prices and profit allocation must be carefully planned, together with suitable transfer pricing documents. Even if those steps are completed, there is no guarantee that no disputes will arise. Tax disputes typically take time and result in increased costs for businesses. According to Article 25 of the OECD Model Convention, where tax disputes arise, Advance Pricing Agreements (APAs) and/or Multilateral Agreement Procedures (MAPs) should be considered practical remedies.
This webinar will provide updated insights on how to understand and prevent international tax disputes, particularly Transfer Pricing, through the interpretation of tax treaties whose Articles of the OECD Model Convention regulate provisions concerning MAP and/or APA, as well as provisions relating to Transfer Pricing transactions between affiliated parties. We expect that participants will acquire best practices for avoiding disputes, achieving clarity, and making cross-border business easier and more predictable.
Speakers
Ichwan Sukardi - Tax Managing Partner, RSM Indonesia
T. Qivi Hady Daholi - Tax Partner, RSM Indonesia
Septian Fachrizal - Analis Senior MAP/APA, the Directorate General of Taxes
Date & Time
Friday, 26 September 2025
09:00 AM - 11:30 PM (Jakarta Time)
Event Details
DATE AND TIME (Asia/Jakarta)