BEPS – A New Era in International Tax: Action 6 – Preventing Treaty Abuse
First 15-20 minutes is for networking Sandwiches and beverages included Hosted by the Taxation Committee Businesses' tax policies and the amount of tax they pay are increasingly coming under close governmental and public scrutiny. The Organisation for Economic Cooperation and Development (OECD) has responded to these concerns with its coordinated Action Plan for the Base Erosion and Profit Shifting (BEPS) project. The question is not whether the OECD's BEPS project will affect multinational enterprises but when and to what extent. With so much at stake, keeping track and making sense of all that is going on will challenge even the most well resourced multinational enterprises.
Action 6 of the BEPS Action Plan from the OECD, released earlier this year, identifies 'treaty shopping" as an important source of BEPS concerns. Senior-level professionals from KPMG will discuss key points of the plan and expected outcomes of implementation including country specific implications and transfer pricing reporting. Please join us on August 27th as Wade Wagatsuma, Chris Xing, John Kondos, and Justin Pearce from KPMG share with us highlights of BEPS Action 6 as well as potential implications for multinational enterprises in the Asia Pacific region.
The American Chamber of Commerce in HK 1904 Bank of America Tower 12 Harcourt Road Central, Hong Kong