Deloitte School of Tax International Tax and Transfer Pricing Workshop

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Deloitte School of Tax International Tax and Transfer Pricing Workshop

Introduction International tax and transfer pricing are primary focus areas for revenue authorities globally. The upsurge of foreign investments and cross-border transaction across Africa requires tax and finance professionals with a deep knowledge of transactional tax, international tax and transfer pricing. Deloitte School of Tax in partnership with International Bureau of Fiscal Documentation (IBFD) is pleased to invite you to a three day international tax and transfer pricing workshop to be held from the 20 to 22 September at Sarova Whitesands Resort in Mombasa. The workshop will feature IBFD international tax experts and East and Central Deloitte international tax practitioners. The workshop will focus on the international tax aspects of a corporate structure.

Program Outline Day 1 Time Activity 07:30 08:30 Registration 09:00 10:45 Current Trends in international tax planning Corporate international tax planning in context What is aggressive tax planning? OECD reports on Base Erosion and Profit Shifting Other international developments FATCA and exchange of information Impact on multinationals and their international tax planning structures 10.45-11.00 Break Refreshments 11.00-12.45 International Tax Considerations in Corporate Tax Planning Examples of common holding/financing/captive insurance structures Structuring of R&D activities and intangibles Application of international tax principles Treaty entitlement Capital gains taxation under tax treaties Transfer pricing considerations in intra-group finance Substance considerations under international tax principles Transfer pricing considerations in the structuring of R&D activities and intangibles Application of anti-avoidance rules CFC rules Thin capitalization rules Specific anti-hybrid rules Anti-tax haven rules Treaty anti-abuse rules 12.45-13.45 Lunch 13.45-15.30 International Tax Considerations in Corporate Tax Planning (Continued) 15.30-15.45 Break Refreshments 15.45-17.00 Case Study

Day 2 Time Topic and Brief Outline 09.00-10.45 The Role of Tax Treaties in Corporate Tax Planning Importance of tax treaties in corporate tax planning Treaty residence and treaty entitlement What is liable to tax? Treaty tiebreaker rules for dual residents Treaty shopping and abuse of treaty Beneficial ownership concept in corporate tax planning Application of domestic anti-avoidance measures OECD/G20 BEPS Action Plan Action 6 Practical examples and cases 10.45-11.00 Break Refreshments 11.00-12.45 Special Considerations in Capital Gains Tax Planning Article 13 of the OECD Model Tax Convention Direct vs indirect disposal of shares Disposal of real estate and real estate companies/entities The role of tax treaties in capital gains planning Examples and cases 12.45-13.45 Lunch break 13.45-15.30 Concept of Permanent Establishment (PE) in Corporate Tax Planning Fixed place of business PEs Agency PEs Services PEs PEs in business restructuring PEs in the digital economy Practical examples and recent case law OECD/G20 BEPS Action Plan Action 7 15.30-15.45 Break Refreshments 15.45-17.00 Case Study

Day 3 Time Topic and Brief Outline 09.00-10.45 Transfer Pricing (TP) Principles and Corporate Tax Planning Importance of transfer pricing principles in corporate tax planning New international transfer pricing guidelines under Actions 8, 9 and 10 of OECD BEPS Action Plan Re-characterization and non-recognition Allocation of risks Remuneration for functions, assets and risks Application of OECD Transfer Pricing Guidelines on intra-group services and financial transactions Current controversies and some examples Practical examples 10.45-11.00 Break Refreshments 11.00-12.45 Transfer Pricing Aspects of Global Value Chains The application of the arm s length principle to global value chains Global supply chain structures in the post-beps era Chapter IX of the OECD Transfer Pricing Guidelines on business restructuring what can the taxpayers rely on? what can the tax administrations adjust? Current controversies and some examples Market premium and location savings Marketing activities Synergies Practical examples and cases 12.45-13.45 Lunch break 13.45-15.30 Transfer Pricing Aspects in the Structuring of R&D Activities and Intangibles Transfer pricing considerations in intangibles tax planning Re-characterization and non-recognition Allocation of risks What are intangibles for transfer pricing purposes? Entitlement to intangibles related returns Valuation of intangibles Ex-post adjustments for hard to value intangibles Practical examples and cases 15.30-15.45 Break Refreshments 15.45-17.00 Case Study

Instructors Bios Tamás Kulcsár Tamás Kulcsár is the Manager of International Tax Training (ITT) at IBFD specialized in international tax law. He is also a contracted expert of the International Monetary Fund (IMF). Before joining ITT, Mr Kulcsár was responsible for the EU desk at the IBFD Knowledge Centre. He also worked for the International Fiscal Association, the European Commission and the Hungarian government in different managerial roles. After obtaining a JD and a postgraduate degree in Economics from Hungary, he acquired an Advanced Diploma in International Taxation from the Chartered Institute of Taxation (United Kingdom) and an LLM in Tax from the University of London, Queen Mary College (United Kingdom). Premkumar Baldewsing (AKA Boyke Baldewsing) Boyke Baldewsing is a Principal Research Associate at IBFD. He has extensive experience in the (inter)national tax arena. Mr Baldewsing has also worked as an international tax expert for various Big Four and law firms. His experience covers, inter alia, tax advice, tax opinions, chairing technical meetings, coaching junior tax professionals, managing client portfolios, and advising on and negotiating tax rulings. Mr Baldewsing has been a senior registrar at the Tax Chamber of the Court of Appeal in The Hague for four years, and has also been a co-writer of several tax articles, and visiting lecturer at Nyenrode University. Mr Baldewsing has a master s degree in Tax Law from the University of Leiden. Fred Omondi East and Central Africa TP expert Fred is a Tax Partner in Deloitte East Africa. He has over 12 years experience in various aspects of taxation including tax reviews/ health-checks, handling tax audits, transfer pricing, international tax issues and advising clients on tax issues relating to business set up and restructuring. He has assisted many organizations, both local and multinational, in managing their tax affairs. Fred has built a solid reputation in handling tax controversy - tax audits by the KRA including representing clients at the Kenya Tax Tribunal; (KRA audits and dispute resolution), leading tax advisory engagements including advisory on set-up and tax efficient structures; managing tax compliance assignments and reporting, working in conjunction with audit team and client personnel; Tax due diligence and tax reviews; advising on tax implications of major transactions; carrying out transfer pricing documentation assignments and resolving transfer pricing audit cases; and facilitating staff training and client workshops on taxation. Doris Gichuru East Africa TP expert Doris Gichuru is a manager in Deloitte East Africa transfer pricing team. She has extensive experience in transfer pricing planning and documentation including carrying out an in- house implementation of the transfer pricing policy for a large multinational company in East Africa. Doris spent over 2 years in South Africa specialising in transfer pricing where she was engaged in documentation and revenue authority audit support work for some of South Africa s largest mining, energy, financial services and pharmaceutical companies. Doris also has seven years experience in corporate and international tax including industry experience as a group tax manager for East Africa Breweries Limited.

Who should attend? Chief Finance Officer Method of payment Please make all payments payable: Group Tax Manager Group Finance Officer Finance Manager Bank Barclays Bank of Kenya Branch Westlands Account Name Deloitte & Touche Account Number 0227213736 Code BARCKENX Tax Manager Finance or Tax Senior Consultant Included in the workshop Workshop session materials Registration Registration should be done before September 10th 2017. The fee is exclusive of local taxes. Breakfast, Lunch & Coffee breaks Case studies Early Bird (pay before August 25th) - $990 Regular/On-site (pay after August 25th) - $1,100

Housing and Travel Hotel information The workshop will be held at Sarova Whitesands Resort. While it will be most convenient for you to stay at the workshop venue, we have a number of good hotels in close proximity to Whitesands. Please see the list of recommended hotels below and accompanying contact details. Please note that any accommodation too far from the conference venue might necessitate some travel, using cabs, to get to Whitesands Hotel. Hotel Name Contacts Email Address Contacts Distance from Workshop Venue Sarova Whitesands Beach Hannah Nderi Hannah.nderi@sarovahotels.com +254 722 319 005 N/A Hotel Traveller s Beach Hotel Vivian reservations@travellershtl.com +254 720 648 708 Next Door (500m) Kahama Hotel Cecilia kahamahotel@gmail.com +254 720 593 388 1.1 KM Pride Inn Mombasa Mubeen A. Shah mubeen@prideinn.co.ke +254 721 537 142 3.6 KM Mombasa Continental Zipporah zippy@mcr.kengahotels.co.ke +254 722 325 579 5.4 KM Airport Information Moi International airport handles local and international traffic with more than eighteen airlines flying directly from and to Europe, and offering connections to over twenty cities in the region. The airport is located 19.2km from the Sarova Whitesands Resort (the chosen venue for the workshop). While the Hotel is only a 45 minutes drive from the Airport under normal traffic conditions, please allow for about 1.5 hours travel time; to and from the airport. This will cushion you against any traffic snarl-ups you may encounter. Transportation to Sarova Whitesands Uber: We recommend that you take an Uber from the airport to the hotel. However, other approved taxi/cab providers are available at the airport; Hotel Shuttle services: Most of the recommended hotels can arrange for airport transfers for their guests on request. Kindly confirm this with the hotel you will book your accommodation with; Traveling to Mombasa, Kenya from abroad Please be sure to check whether your preferred Airline has direct flights to Moi International Airport in Mombasa. Don t worry about it if your preferred airline does not have direct flights to Mombasa. You can take a connection flight from the Jomo Kenyatta International Airport to Moi International Airport Mombasa which takes about 45 minutes. The following is a schedule of airlines that fly to Moi International Airport from Jomo Kenyatta International Airport Nairobi. Country City Airline Kenya fly to Mombasa with Kenya Airways with Jambo Jet with Fly 540 with Fly Sax Transfer arrangements: Kindly reach out to Vera Adongo should you need us to make airport transfer arrangements for you. The charges for the transfer will be billed to you together with the training fees; and Emergency contact: kindly reach out to Vera Adongo on 0717-204682 should you need help upon landing at Moi International Airport.

Deloitte refers to one or more of Deloitte Touche Tohmatsu Limited, a UK private company limited by guarantee, and its network of member firms, each of which is a legally separate and independent entity. Please see www.deloitte. com/about for a detailed description of the legal structure of Deloitte Touche Tohmatsu Limited and its member firms. Deloitte provides audit, tax, consulting, and financial advisory services to public and private clients spanning multiple industries. With a globally connected network of member firms in more than 150 countries, Deloitte brings worldclass capabilities and high-quality service to clients, delivering the insights they need to address their most complex business challenges. Deloitte has in the region of 224,400 professionals, all committed to becoming the standard of excellence. 2017 Deloitte & Touche