Introduction to the New World of Global Tax Planning

By on August 31, 2016

Domestic implementation of the recommendations set out in the BEPS final reports from 2015 have the potential to significantly impact effective tax rate planning. The immediate issue flows from the new country-by-country transfer pricing documentation regime (CbC). The critical consequence of the CbC regime, as well as many of the other BEPS initiatives, will be an inevitably heightened focus of tax authorities on testing locally reported transfer pricing results on a profit split basis.

Read the full article here.

 

STAY CONNECTED

TOPICS

ARCHIVES

jd supra readers choice top firm 2023 badge