IBFD Course Programme Principles of Transfer Pricing

Similar documents
Principles of Transfer Pricing

IBFD Course Programme Principles of Transfer Pricing

IBFD Course Programme Principles of Transfer Pricing

IBFD Course Programme International Tax Planning after BEPS and the MLI

Principles of International Taxation

Principles of International Taxation

IBFD Course Programme Principles of International Taxation

IBFD Course Programme Practical Aspects of Tax Treaties

IBFD Course Programme Transfer Pricing and Substance Masterclass

Principles of International Tax Planning

IBFD Course Programme Transfer Pricing: Compliance and Audit Management in Southeast Asia

Tax Planning in the Middle East

IBFD Course Programme International Tax Aspects of Permanent Establishments

IBFD Course Programme BEPS Country Implementation

IBFD Course Programme Tax Planning in Africa and the Middle East

IBFD Course Programme Current Issues in International Tax Planning

International Taxation of Oil and Gas and Other Mining Activities

IBFD Course Programme Current Issues in International Tax Planning

Domestic Fiscal System and International

Overview of OECD Action Plan on Base Erosion and Profit Shifting (BEPS)

Transfer Pricing Principles By Wilfred Alambo KPMG Advisory Services Limited

IBFD Course Programme Transfer Pricing: Financial Services Industry Masterclass

IBFD Course Programme Global VAT

Transfer Pricing Country Summary Pakistan

Advanced Transfer Pricing Course General Topics

Post-BEPS application of the arm s length principle: India charts a new course

India revises Country Chapter comments in UN Practical Manual on Transfer Pricing Issues for Developing Countries

Transfer pricing of intangibles

OECD TP Guidelines July 2017 Brief synopsis

Update of the General Guidelines for Applying the Arm s Length Principle a New Section D in Chapter I of the Guidelines

Transfer Pricing Country Summary The Netherlands

Russian Federation. Transfer Pricing Country Profile. Updated October 2017 SUMMARY. The Arm s Length Principle

Russian Federation. Transfer Pricing Country Profile. Updated October The Arm s Length Principle

o Interpretation of Article 9 of the OECD, UN and US Models: - Primary adjustment - Corresponding adjustments - Secondary adjustment

DECEMBER Update on Transfer Pricing: Compliance Requirements and the Changing Landscape

OECD Transfer Pricing Guidelines for Multinational Enterprises and Tax Administrations

Global Transfer Pricing Review kpmg.com/gtps

IBFD Course Programme Introduction to GCC VAT

IBFD Course Programme Offshore Entities Past, Present and Future

THE OECD BEPS ACTION PLAN

TRANSFER PRICING AND INTANGIBLES: SCOPE OF THE OECD PROJECT

Chapter -1. An Introduction to Transfer Pricing

Institute of Certified Public Accountants Transfer Pricing Workshop

Internal or external comparables can be used to determine the gross profit margin.

Germany. Transfer Pricing Country Profile. Updated October The Arm s Length Principle

Israel. Transfer Pricing Country Profile. Updated February The Arm s Length Principle

Spain. Transfer Pricing Country Profile. Updated October The Arm s Length Principle

Transfer Pricing Country Summary Turkey

Transfer Pricing Country Summary Israel

Importance of Intangibles. TP Problems Related to Intangibles. Intangible Issues in Developing Countries

IBFD International Tax Training 2018

Intra-Group Services & Intangibles

1. New decree on transfer-pricing documentation requirements

AUDIT AND RISK ASSESSMENT

An overview of Transfer Pricing

Transfer Pricing and Business Restructurings

Methods of determining ALP

Headline Verdana Bold International Tax matters ICPAU Tax Seminar, Hotel Africana November, 2017

Deloitte School of Tax International Tax and Transfer Pricing Workshop

China s SAT Issues Draft Guidance on Transfer Pricing Rules and BEPS Initiatives

Transfer Pricing Country Summary Ghana

What is Transfer Pricing and Why is it Important?

Transfer Pricing based on HFM and TPH (Transfer Pricing for Hyperion) Matthew Prior & Neil Weller AMOSCA

SEMINAR ON TRANSFER PRICING 23rd September, Valuation Approaches and their applicability under Transfer Pricing. CA Siddharth Banwat

OECD Release on Intangibles: Many Issues Unanswered

In 2002 the arm s length principle was codified in the Netherlands by section 8b of the Corporate Income Tax Act (VPB) 1969.

Our commentary focuses on five main issues. Supplementary comments relating to specific paragraphs or issues are provided in the appendix.

International Tax Primer. Third Edition. Brian J. Arnold

Transfer Pricing Country Summary Turkey

TRANSFER PRICING UNDER INCOME TAX ACT, N.Madhan B.Com., CA & Grad CWA. 22 August 2015

An overview of Transfer Pricing

Arm s Length Principle. Kavita Sethia Gambhir

IBFD Course Programme Global VAT

US Corporate Taxation

New Zealand. Transfer Pricing Country Profile. Updated October The Arm s Length Principle

OECD TRANSFER PRICING GUIDELINES FOR MULTINATIONAL ENTERPRISES AND TAX ADMINISTRATIONS

Keywords: arm s length principle, transfer pricing, MNE economic rent, BEPS

Introduction to Transfer Pricing Regulations BCA. Vispi T. Patel. Vispi T. Patel & Associates

Transfer Pricing. General Department of Taxation. Presented by: Mr.Traing Lay Mr. Chea Chantra. 18 January 2018

Transfer Pricing and State Aid in the EU : an OECD Perspective. IFA-YIN Conference

Tax Seminar: Transfer Pricing A Customs Perspective. Peter Caxton Kinuthia Director, Tax Services KPMG Kenya. 30 April 2015

Current Work of Interest to Developing Countries. Michelle Levac Chair Working Party 6

IRAS e-tax Guide. Transfer Pricing Guidelines (Fourth edition)

Chapter 2. Business Framework

2. Name the 6 points you need to learn from Reading cases? 3 points (see additional reading materials)

Introduction to Transfer Pricing. Presented by Ziad Rahman APTP

Chapter 2 - Business Framework: The Theory of the Firm and the Reasons for the Existence of Multinational Enterprises

Status of transactional profit methods as last resort methods

wts study Global WTS PE Study A high-level overview of most discussed PE issues in EU, OECD and BRICS countries

Transfer Pricing Country Summary Belgium

Action 8 Assure that transfer pricing outcomes are in in line with value creation

Planning for Intangible Property Migration in an Uncertain Environment. ABA Section of Taxation Mid Year Meeting January 25, 2013

Most significant issues in relation to the transfer pricing aspects of intangibles and shortfalls in existing OECD guidance

Issues Involving Comparability and Profit Based Methods in Transfer Pricing

Transfer Pricing Country Summary Norway

Transfer Pricing Country Summary China

Introduction to Transfer Pricing Regulations

Transfer Pricing Country Summary Tanzania

Transfer Pricing Updates and Challenges in Southern China

Intellectual Property

Transcription:

IBFD Course Programme Principles of Transfer Pricing

Price: 1,875 (US$ 2,415) Price for full IBFD Members: 1,500 (US$ 1,932) Early Bird Discount: A 30% discount will be applied to registrations for this course which are received before 11 May 2017 (The Early Bird discount cannot be used in conjunction with other discounts.) Overview and Learning Objectives It is often said that transfer pricing is not an exact science. Hence, in order to develop an understanding of transfer pricing principles and methodologies, consideration of their practical application is regarded as paramount. This five-day introductory to intermediate-level course acquaints participants with the principles and methodologies of transfer pricing and then explores the application of these principles and methodologies to specific categories of intra-group dealings. The theoretical sessions are complemented by case studies that deal with the use of the principles and methodologies in practice. The focus of this practically orientated course is on the requirements of the OECD Transfer Pricing Guidelines for Multinational Enterprises and Tax Administrations and the issues that can arise in the application of these requirements, including the latest developments following the OECD BEPS Action Plan. This course serves as good preparation for the CIOT's ADIT Paper III Option F. For more information about the Advanced Diploma in International Taxation, you can visit the CIOT s website. This is an interactive course with a maximum of 40 participants. Prior to the course, participants will be given access to online supplementary materials (e.g. legal documentation, case law and related articles/literature). During the course, participants will be provided with a course binder containing documents relevant to the course. Who Should Attend? The course is suitable for finance and tax personnel of multinational enterprises, tax accountants, economists and lawyers, inhouse tax managers, tax and transfer pricing advisers, and government officials and tax officers. Course Level and Prerequisites This is an intermediate-level course containing introductory sessions. Whilst prior experience of transfer pricing is desirable, it is not a prerequisite to satisfactorily participate in this course. 2

Day 1 09.00-10.40 Introduction to Transfer Pricing (Carlos Gutiérrez, IBFD, the Netherlands) What is transfer pricing? The importance of transfer pricing Art. 9 OECD and UN Models The OECD Transfer Pricing Guidelines for Multinational Enterprises Associated enterprises Applying the arm s length principle Selected examples of domestic transfer pricing law Transfer pricing implications of BEPS Actions 8,9 and 10 country-by-country reporting 11.00-12.45 Comparability Analysis (Shee Boon Law, DLA Piper. The Netherlands) Comparability factors Impact of OECD BEPS Action Plan non-recognition recharacterization Establishing search criteria Conducting a comparability study Sources of information and utilizing databases Practical examples/case studies 14.00-15.20 Transfer Pricing Methods (Shee Boon Law) Transaction-based methods comparable uncontrolled price (CUP) cost-plus method resale price method Profit-based and other methods profit split method transactional net margin method (TNMM) other methods Compensating adjustments Practical examples Case study 15.20-15.40 Break Refreshments 15.40-17.00 Case Study (Carlos Gutiérrez and Shee Boon Law) 3

Day 2 09.00-10.30 Managing the Customs-Transfer Pricing Nexus (Shee Boon Law) Does the arm s length price equate to the customs value? Valuation in tax and customs: Similarities and differences Developments 10.30-10.50 Break Refreshments 10.50-12.15 Transfer Pricing and Intangibles (Shee Boon Law) New OECD Guidelines on intangibles following Action 8 Defining intangibles Entitlement to intangibles-related returns Transactions involving intangibles royalty determination pricing intangible transfers Cost contribution arrangements Valuation method 12.15-13.30 Lunch 13.30-15.00 Transfer Pricing and Intangibles (continued) 15.00-15.20 Break Refreshments 15.20-17.00 Case Study (Carlos Gutiérrez) 4

Day 3 09.00-10.40 Global Supply Chain Considerations and Business Restructuring (Anis Chakravarty, Deloitte, India) Global supply chains and motivations for restructuring Common types of business restructuring distribution activities manufacturing activities intellectual property services The OECD theoretical framework Ch. 9 2010 OECD Transfer Pricing Guidelines Importance of anti-avoidance rules the concept of transfer of functions risk and migration of risk factoring location savings importance of documentation UN TP Manual 11.00-12.45 Global Supply Chain Considerations and Business Restructuring (continued) 14.00-15.30 Specific Issues in Supply Chain Structures (Anis Chakravarty) Location-specific advantages Market characteristics Synergies Assembled workforce Development India, China and other countries tax authorities assertion taxpayers assertion UN TP Manual and OECD Guidelines Examples and case law 15.30-15.50 Break Refreshments 15.50-17.00 Case Study (Anis Chakravarty) 5

Day 4 09.00-10.40 Intra-Group Services (S.M. Thanneermalai, Crowe Horwath, Malaysia) Introduction business models OECD approach relationship between ICS and CCA Types of intra-group services/common services shareholder activities and genuine intra-group services allocation keys choice of transfer pricing method Funding of the services and activities at arm s length direct charge indirect charge Transfer pricing method service charge computation documentation 11.00-11.45 Intra-Group Services (continued) 11.45-12.45 Intra-Group Finance Transactions (Anis Chakravarty) Importance of intra-group finance transactions Types of intra-group finance transactions Transfer pricing risks and planning opportunities Establishing an arm s length loan amount Establishing an arm s length interest rate comparability factors to consider importance of a stand-alone credit rating base rates and credit spreads Guarantee fees when to charge a guarantee fee how to establish a guarantee fee implicit parent guarantee Developing a loan pricing policy consistent approach on interest rates meeting transfer pricing documentation requirements 14.00-15.20 Intra-Group Finance Transactions (continued) 15.20-15.40 Break Refreshments 15.40-17.00 Case Study (Anis Chakravarty) 6

Day 5 09.00-10.40 Permanent Establishments (Carlos Gutiérrez) Art. 7 OECD Model The PE concept: Art. 5 OECD and UN Models Fixed place of business PE Agency PE Developments in BEPS Action 7 Attribution of profits to PEs Profit attribution to agency PE 11.00-12.45 Permanent Establishments (continued) 14.00-15.40 Transfer Pricing Risk Management (Shee Boon Law) What is risk management? Sources of transfer pricing risk Risk embedded in transfer pricing Role of transfer pricing within an MNE Transfer pricing and tax effect accounting issues A framework for transfer pricing risk management Transfer pricing documentation country-by-country reporting 15.40-16.00 Break Refreshments 16.00-17.00 Administrative Approaches to Avoiding and Resolving Transfer Pricing Disputes (Shee Boon Law) Economic double taxation Corresponding adjustments art. 9 OECD Model Secondary adjustments Mutual agreement procedure art. 25 OECD Model Penalties Advance pricing arrangements 7