Should Apple Pay $13 billion Penalty to EU?: BEPS and Transfer Pricing in MNCs

Value Chain Analysis (VCA)

During this webinar the highlights addressed will be the following:

  1. Current tax policies and Update on BEPS Project of the OECD
  2. BEPS sensitivity on tax and transfer pricing preferential regimes
  3. Waves of tax challenges coinciding with BEPS Action plan
  4. Analysis of Apple vs. EU Commission case
  5. Challenges and opportunities for academic research

Copyright © 2019
Transfer Pricing Associates BV.
All rights reserved.

H.J.E. Wenckebachweg 210
1096 AS Amsterdam
T: +31 20 462 3530