ITD webcast series: BEPS unilateral measures |
Thursday, February 05, 2015 at 12:00 PM Eastern Standard Time
The OECD launched their action plan on base erosion and profit shifting (BEPS) in July 2013. Included in the launch was a December 2015 deadline for completing all reports and recommendations. However, this deadline has not been soon enough for many countries. Faced with increasing public and economic pressures, many governments have moved early and unilaterally introduced tax-raising measures to counter BEPS. These measures are impacting US multinationals (US MNCs) now.
Join specialists from PwC's International Tax Desks to learn about unilateral measures that were implemented in 2014 or are proposed for 2015, and how they might affect US MNCs. Our panel will cover important changes in proposed and enacted rules in various jurisdictions, including:
- UK diverted profits tax - introduction to the rules, update on conversations with the UK tax authorities and how the tax applies to common US MNC business models;
- China – General anti-abuse rules (GAAR) and Notice of Anti-Avoidance on Significant Outbound Payments;
- Anti-hybrid rules - detailed update on the proposed anti-hybrid rules in Germany and overview of new other interest deduction regimes across Europe;
- Africa - round up on key developments and detail on the recent changes in South Africa; and
- Latin America – overview of key developments and detail on the changes in Mexico.
|
To login for the webcast, please enter the required fields below. This is necessary in order to earn CPE credit. |
|
|
|