Dbriefs Library

Explore archived webcasts

Webcasts archived in the last 6 months can be accessed on this page

Webcasts archived in the last 6 months can be accessed on this page. For a complete program schedule and topic information on upcoming webcasts, select the Program Guide.



M&A Tax
Post-BEPS structuring for real estate deals: A focus on China, India, and Japan

23 May 2017
Host: Daniel Ho
Presenters: Masamitsu Koshiba, Hemal Mehta, and Simon Tan

In the era of post-BEPS, how would you structure your investment in the real estate sector in India, China, and Japan so as to ensure it does not expose you to unintended tax costs and maximizes opportunity? We'll discuss:

  • Overview of a post-BEPS typical investment structure in the real estate sector.
  • Taxation of repatriation.
  • Tax implications on financing arrangements.
  • Exit tax considerations.
  • Practical case studies and lessons learned.

Keep up to date with how post-BEPS investment structure in the real estate sector could impact your business.

Global Mobility, Talent & Rewards
Global immigration: A new landscape and mindset

18 May 2017
Host: Mark Wright
Presenters: Fiona Webb and Cecille Yang

In today's environment, immigration has come to the forefront of companies' strategies. In addition to up to date, accurate, and strategic technical advice, other best practices have been seen in this space to help companies be the best in class in managing their immigration programs. In this discussion, we will share some case studies where companies can learn and adopt ways to manage their immigration programs. We'll discuss:

  • The importance of real time data and leveraging data analytics as they relate to immigration to make strategic decisions.
  • The link between immigration and talent management.
  • Keeping up with regulatory changes and thinking holistically.
  • Focusing on security, safety, and improving the user experience.
  • Optimizing the synergies between immigration and tax.
  • Changing the mindset from managing just "global assignees" and focusing on the entire talent pool of an organization.
  • Mitigating risk for the employee and employer.
  • Challenging and interesting case studies.

Gain insights from Deloitte experts on how multinationals can manage immigration strategies more efficiently and effectively.

Transfer Pricing
Transfer pricing documentation: Addressing the practical challenges

16 May 2017
Host: Fiona Craig
Presenters: David Letos and Rahul Tomar

Transfer pricing documentation sits high on the "to do list" of multinationals around the world. But, where to start, what to prioritize and how to manage the local complexities and nuances of the new reporting regime is not always clear. In this session, we will share ideas and tips on how to manage the process of developing strategic and compliant Master Files and Local Files. We'll discuss:

  • Bringing a risk management lens to the process.
  • Setting up for efficient future compliance.
  • Addressing the heightened transparency of documentation.

Deloitte experts will share their practical experience and insights from having worked with a wide range of multinationals and developed tools and solutions to meet a variety of global documentation needs.

International Tax
Inbound investment into Vietnam: A clear view of the recent developments

9 May 2017
Host: Rohan Solapurkar
Presenters: Tuan Bui and Dion Thai

In 2017, we will see the most significant changes to Vietnam's tax regime for at least the last 10 years. The new Transfer Pricing Decree as well as additional documentation requirements will include significant new rules and restrictions on tax deductibility for corporate income tax purposes, including for interest and services fees. Tax audits and investigations continue to grow with a 20% increase planned for 2017. The reduction in government revenues and increased expenditure has seen tax audits identified as a key source to fill the gap. Tax on the transfer of shares has also been found to be a significant source of revenue for the government. We'll discuss:

  • An overview of investment structures into Vietnam.
  • Changes regarding representative offices including more restricted scope of activities.
  • The current and forecast implementation of the OECD BEPS Action Points in Vietnam.
  • New tax incentives and their practical implementation.
  • Tax audit trends and areas of focus – how to be better prepared?
  • New developments concerning the Vietnam tax authorities' approach to the application of tax treaties and transfer pricing.
  • Anticipated forthcoming changes.

Keep up to date with the latest developments on inbound investment in Vietnam, and how they may affect your decisions when investing in Vietnam.

Indirect Tax
Human Resources (HR) and VAT / GST: Happy road or hidden bumps?

4 May 2017
Host: Robert Tsang
Presenters: Weina Ang and Sen Elalingam

The Human Resources (HR) function in many organizations gets more complex year on year, with more and more focus on being lean and efficient in all they do. The tax that touches HR most often is usually Goods and Services Tax or its equivalent – do you understand what these interactions and interdependencies are? With Malaysia introducing new GST rules, countries like Singapore and Thailand are continuing to refine and adapt rules, are you keeping up? We'll discuss:

  • What rules are the governing recovery of GST on costs – are you unwittingly building in an element of irrecoverable GST that need not be there?
  • Should you use a separate employment services entity for your inbound staff or secondees?
  • What are the ramifications for GST costs if you outsource all or part of your HR function?
  • The road map and where all the hidden traps are?

Understand the interactions and interdependencies between HR and tax and how they may affect your organization.

India Spotlight
Insolvency and Bankruptcy Code 2016: Step towards speedy resolution process

27 April 2017
Host: Shripal Lakdawala
Presenters: Anjali Malhotra and Sameer Maniar

In India, multiple laws and adjudication authorities make the procedure for corporate and individual insolvency and bankruptcy cumbersome as well as time consuming. For speedy resolution of insolvency proceedings, a consolidated legislation, i.e., The Insolvency and Bankruptcy Code 2016 (Code) was enacted effective from May 2016. The Code designates the National Company Law Tribunal (NCLT) and Debt Recovery Tribunal (DRT) as adjudicating authority in this regard for Companies / LLPs and Individuals / Partnership Firms, respectively. For corporates, what does this mean in terms of impact on their business continuity where a company is unable to pay its debts? We'll discuss:

  • Highlights of the Code – a step for speedy insolvency resolution.
  • Institutional framework and machinery under the Code.
  • Broad process for corporate insolvency resolution process.
  • Role of insolvency professionals in corporate insolvency resolution process.

Stay informed about the Insolvency and Bankruptcy Code and gather insights into how it may affect your decisions for your organization.

Special Edition - China Spotlight
SAT Bulletin 6: Transfer pricing reform and special tax adjustments after BEPS

25 April 2017
Host: Eunice Kuo
Presenters: Victor Li and Jerry Wang

On 17 March 2017, the State Administration of Taxation (SAT) issued Bulletin 6 to improve the Administration of Special Tax Investigation and Adjustment and Mutual Agreement Procedures. This long awaited regulation largely completes the revision of China's transfer pricing and special tax adjustment regulations that was first signaled in the 2015 discussion draft, and establishes China's framework for transfer pricing analysis and audits in the post-BEPS world. All enterprises with related party transactions need to understand how the changes may affect them, in particular the ongoing shift to a more risk-orientated tax administration system and the China specific issues that have been reinforced through the revised regulations. We'll discuss:

  • Key elements of Bulletin 6 and significant changes from the 2015 discussion draft.
  • Interaction of Bulletin 6 with the previously released Bulletins 42 (documentation) and 64 (APAs).
  • How Bulletin 6 may impact tax authority transfer pricing enquiries, investigations, and audits in China.
  • How multinationals can proactively manage their transfer pricing risk in China following BEPS and the revision of TP regulations.

Learn about the many complexities of this new guidance and learn how your company may be impacted.

(Tune in to the Chinese version of this webcast aired on 26 April. Please visit Chinese language webcasts page for program details.)

India Spotlight
Tax impact of Indian Accounting Standards (IndAS)

20 April 2017
Host: Sunil Shah
Presenters: Anand Subramanian, Promod Batra, and Jatin Kanabar

Many Indian companies are required to adopt the new Indian Accounting Standards (IndAS) in a phased manner starting from Financial Year 2016-17. IndAS brings in the concept of time, value of money, fair valuation, and substance of a transaction in accounting rather than form. IndAS will have a significant impact in computing the income of the company both under the Minimum Alternate Tax (MAT) provisions and under the normal provisions of Income Tax Act, 1961 (the Act). In Budget 2017 presented on 1 February 2017, though the government has announced certain changes in MAT provisions for IndAS compliant companies, a number of questions remain unanswered and the challenges in computing the normal income continues. We'll discuss:

  • IndAS – applicability and key accounting principles.
  • Amendments in MAT provisions for IndAS Compliant companies, along with illustrations.
  • Interplay of IndAS vis a vis Income Tax Computation and Accounting standards in computing the income under the normal provisions of the Act.
  • Transition issues.

Gain a better understanding of the new Indian Accounting Standards and how they would impact your Indian tax position.

Transfer Pricing
Transfer pricing dispute resolution: A focus on China, Japan, and Australia

18 April 2017
Host: Fiona Craig
Presenters: Tim O'Brien, Chris Thomas, and Aaron Wang

An increase in transfer pricing controversy was always anticipated to result from the OECD BEPS program of work. Which Revenue Administrations in Asia Pacific have got on the front foot with new compliance activities? Which continue with previous areas of focus? We'll discuss:

  • New audit procedural approaches introduced by Revenue Administrations.
  • Practical options and guidance on best practices for resolving disputes.
  • Mutual Agreement Procedure.
  • The way forward.

Gain insights from Deloitte experts on the best practices for transfer pricing disputes.

Indirect Tax
Cost recharges and recoveries: Beyond mark-up or no mark-up, VAT or no VAT?

30 March 2017
Host: Robert Tsang
Presenters: Sarah Chin, Richard Mackender, and Chikara Okada

Cost recharges and recoveries issues are recognized by many tax authorities as one of the toughest areas in Indirect Tax, and one that many businesses are getting wrong. Join us to look at the principles that apply generally in VAT or GST, and specifically at the rules in Singapore, Japan, and China. How are recharges between entities (or from branch to branch or head office) treated for VAT/GST? What is the difference between a reimbursement and a disbursement? Does it matter if there is a mark-up, or not? Does the value of the mark-up matter? We'll discuss:

  • Should businesses be charging VAT or GST on cost recharges and recoveries transactions?
  • What are the approaches in Singapore, Japan, and China?
  • What good practice (and war stories on not so good practice) looks like?

Understand cost recharges and recoveries rules in Singapore, Japan, and China and discover how they may apply to your business.

International Tax
Base Erosion and Profit Shifting (BEPS): What's happened so far? And what's next?

28 March 2017
Host: Steve Towers
Presenters: Claudio Cimetta, Sam Gordon, and Leonard Khaw

Now substantially in the "implementation phase", the BEPS project continues to have a major impact on international tax. We will review the significant BEPS developments in the last 9 months, and in particular:

  • The Multilateral Convention to amend double tax treaties, finalized on 24 November 2016.
  • Discussion drafts and public consultation meetings.
    • Attribution of profits to permanent establishments
    • Profit split method
  • Domestic tax law changes.
    • In compliance with the BEPS project
    • "Unilateral changes"
  • Monitoring by the BEPS Inclusive Framework.
  • Potential impact of the Trump Administration.

Find out the current position on this very important international tax initiative.

Tax Incentives
Tax incentives for regional and global businesses and operations in Malaysia

23 March 2017
Host: Daniel Ho
Presenters: Timothy Ho, Kwang Gek Sim, Eng Huat Tan, and Hooi Beng Tan

Multinational corporations worldwide are choosing to establish their regional and global businesses and operations in countries that offer excellent infrastructures, competitive costs, business friendly policies, and of course, attractive tax incentives. We'll discuss:

  • Tax incentives available for companies undertaking regional and global businesses and operations in Malaysia (namely, the MSC Malaysia Status and the Principal Hub), which offer the Investment Tax Allowance or Pioneer Status and concessionary tax rates ranging from 0% to 10% respectively.
  • Business activities that qualify for the tax incentives.
  • Eligibility criteria for the tax incentives.
  • Procedures to apply for the tax incentives.
  • Potential impact of BEPS Action 5.

Learn about the tax incentives in Malaysia impacting multinationals.

Global Mobility, Talent & Rewards
Share plan in a box: Exploring the latest in share plans and share plan design

16 March 2017
Host: Tony Jasper
Presenters: Lisa Alton, Rob Basker, and Jinho Park

When designing and implementing a share plan for your organization, there are many considerations to work through, including: when someone will be paid, how much they will receive, and how to handle company and people exit events. However, this does not always mean complexity and cost. Bespoke plans will always be more expensive as they will be specific to your organization but is that always what you need? We'll discuss:

  • How organizations are looking to flex plans in Asia to address tax challenges and opportunities within markets.
  • The latest approaches to share plan design and implementation.
  • The latest technical updates and trends in the share incentives space, leveraging our experts in the region.

Stay up to date with the latest developments on share plans and gather insights into how they may affect your organization.

Industries – Financial Services
Common reporting standard (CRS) in Asia Pacific: Moving forward in 2017

9 March 2017
Host: Alison Noble
Presenters: Candy Chan and Denise Hintzke

CRS is live in most countries across Asia Pacific from 1 January. While CRS compliant on-boarding of new customers is now operational, what do financial institutions need to focus on in 2017 as they continue to implement changes to comply with CRS? We'll discuss:

  • The status of CRS regulations and guidance in Asia Pacific.
  • CRS for investment entities including differences to FATCA.
  • The due diligence requirements for pre-existing accounts.
  • Considerations to prepare for the first CRS reporting.

Deloitte experts will share insights on CRS implementation relevant to financial institutions in the Asia Pacific region, latest CRS developments, and what still needs to be done in 2017.

India Spotlight
Indian GST: Can technology unlock the secret to compliance?

7 March 2017
Host: Robert Tsang
Presenters: Jaskiran Bhatia, Saurabh Jain, and Shrenik Shah

With India on the cusp of implementation of the much-awaited GST, government and taxpayers are gearing up for the challenge. As a successful tax regime relies significantly on the use of technology, how can technology help (or conversely hinder)? What are the key initiatives taken by the government to meet the challenges? What is a GST Suvidha Provider (GSP) and an Application Software Provider (ASP)? Will industry be adequately prepared to make the necessary changes to their IT systems to be GST compliant on the GST go-live date? What will be the right approach to be GST compliant? Is technology the key to unlocking the secrets of GST compliance? We'll discuss:

  • Latest updates on GST, with a special focus on information technology preparedness of the government and taxpayer.
  • What is happening in the marketplace? Good practices to follow and the pitfalls to avoid.
  • Next steps and solutions to consider in the short term and beyond.

Understand more on the technological side of the biggest indirect tax reform in India and find out how your business can successfully navigate the challenge.

International Tax
International tax: What can we learn from the top tax cases of 2016?

28 February 2017
* Length of webcast: 75 minutes
Host: Steve Towers
Presenters: Leonard Khaw, Peter Radlovacki, Sunil Shah, and Julie Zhang

Fascinating court decisions have emerged in 2016 involving the interpretation of double tax treaties and other international tax issues. What do these cases reveal? We'll discuss:

  • Cases from India and Australia in regard to royalties and the sale of intellectual property.
  • A UK case on the application of Art. 3(2) (undefined terms used in a treaty), and an Indian case on the non-discrimination article.
  • An Australian case concerning whether a treaty can lead to an increase in source country tax, and a Russian case on outbound "negative interest" payments.
  • A Chinese case on guarantee fees, two European Court of Justice cases on VAT, and a Swedish case on PE status.

Understand the technical and practical implications of these key rulings.

Tax Management
Tax data analytics: Trends in 2017

23 February 2017
Host: Richard Mackender
Presenters: Jaskiran Bhatia and Stuart Black

The tax landscape continues to change as large corporates respond to increased scrutiny and reporting requests from tax authorities whilst regulators and the general public demand greater tax transparency. Technology in general and data analytics in particular are making a significant contribution to the way enterprises are responding to this changing world and tax authorities are using the much larger quantities of data that are becoming available. We'll discuss:

  • The impact of exponential technologies.
  • Technology and the Global Tax Reset.
  • The changing expectations of millennials working in tax and analytics.
  • What can we learn from the rest of the world?
  • How new technologies are changing the way tax sensitive items are recorded and reported?
  • How the market for tax services is changing in response to new technology?

Listen to the practical examples from Deloitte's experts and understand how you can apply to your current business.

Special Edition - International Tax
2017 Japan Tax Reform Proposals: Casting a wide net

22 February 2017
Host: David Bickle
Presenters: Brian Douglas, Sam Gordon, and Ken Hardie-Saga

On 8 December 2016 the ruling parties of the Japanese government issued the 2017 tax reform proposals. In addition to revisions aimed at promoting growth with amendments to the R&D tax credit regime, revisions to the deductible compensation paid to directors, and tax deferred corporate reorganization rules, the proposals also include significant changes to Japan's controlled foreign company rules. With regard to individual tax, the proposals include amendments to inheritance and gift taxes, and redefine the scope of taxable income for non-permanent residents in Japan. The tax reform proposal will be submitted to the Diet in early 2017 for consideration and is expected to be passed in late March 2017 with many provisions effective for fiscal years beginning on or after 1 April 2017. We'll discuss:

  • M&A rules related to corporate reorganizations.
  • Anti-tax haven (i.e., CFC) law reform.
  • Definition of Japan-source income and the potential impact to non-permanent individual tax residents.
  • Inheritance Tax Reform
  • Transfer Pricing update related to Japan's adoption of the OECD 3-tier approach to TP documentation and the "Authorized OECD Approach" (AOA) to the allocation of profits to permanent establishments.
  • 2016 developments in Japan's Treaty network.

Join us to learn more about the key proposals in this year's Japanese tax reform and other recent tax updates that may impact multinational enterprises doing business in Japan.

Transfer Pricing
Marketing, sales, and distribution companies in Asia Pacific: Transfer pricing challenges and lessons learned

21 February 2017
Host: Fiona Craig
Presenters: Geoff Gill, Bhupendra Kothari, Jee Chang See, and Wei Shu

An aspect of multinationals' supply chains that is commonly under transfer pricing scrutiny is the company's interface with customers. Through practical examples, we will highlight the challenges raised by tax authorities in the region in relation to the value and profits attributable to marketing, sales, and distribution activities across a range of industry sectors. We'll discuss:

  • The impact of network effects and local market advantages.
  • The role of the "super distributor".
  • Best practices to manage the transfer pricing risk in this area.
  • Practical examples and lessons.

Understand the challenges raised by value and profits attributable to marketing, sales, and distribution activities and find out how your business can manage these transfer pricing risks more effectively.

M&A Tax
Tax considerations and tax-free post-acquisition corporate restructuring: A focus on Australia and New Zealand

14 February 2017
Host: Danny Po
Presenters: Hadleigh Brock and David Macleod

As part of the post-merger integration of a global, regional, or domestic acquisition, there could be different forms of corporate restructuring, and substantial income tax as well as indirect taxes may be incurred. Tax-free internal restructuring may be available, but subject to the satisfaction of prescribed conditions. In the previous quarter, we illustrated case studies in India, Japan, and Korea. In this quarter, we will continue the discussion of this topic with a focus on Australia and New Zealand. We'll discuss:

  • Overview of corporate restructuring with a focus on Australia and New Zealand.
  • Considerations to be made to address the fair value for tax, cost base step up, and deductibility of capital losses.
  • Practical case studies and lessons learned.

Stay informed about these significant tax considerations and gather insights into how they may affect your decisions in the next transaction.

India Spotlight
India Advance Pricing Agreements (APAs): Latest developments in manufacturing sector

9 February 2017
Host: Rajesh Srinivasan
Presenters: Sanjay Kumar and Vishweshwar Mudigonda

The Indian APA program is moving at a fast pace, having already concluded 66 APAs during the first 10 months of the current financial year and overall, 130 APAs to date - 122 unilateral and 8 bilateral. Concluded APAs include a variety of transactions, covering different industries. Insights will be shared into the APAs for the manufacturing sector, including contract manufacturers, and will help multinational companies explore the feasibility of APAs for their Indian manufacturing operations. We'll discuss:

  • An overview of manufacturing APA applications.
  • Approach of the APA authorities to some key transactions in the manufacturing entity.
  • Payment for brand and technical royalties.
  • Intra-group services.
  • Purchase of capital assets.
  • Other manufacturing operations.

Keep up to date with the latest APA outcomes on some key international transactions relating to manufacturing companies.

India Spotlight
India Budget 2017: Will it be a "blockbuster"?

2 February 2017
* Length of webcast: 75 minutes
Host: C.A. Gupta
Presenters: Anis Chakravarty, Rajesh Gandhi, and Saloni Roy

The last 12 months have been nothing short of eventful for India and Budget 2017 is expected to continue the tone of reform set by the current government. Demonetization and the scheduled implementation of the long-touted Goods and Services Tax (GST) have dominated conversations in recent times. Demonetization will have a likely impact on the GDP in the current fiscal year and it remains to be seen how its benefits could be passed on to the public. The government will also have to look at measures to ensure that the ambitious targets for GDP in the coming years are maintained. With the government committed to implement GST by April 2017, a more transparent and efficient era of indirect taxation is also anticipated. There is also interest around further measures relating to Base Erosion and Profit Shifting (BEPS) and the General Anti Avoidance Rule (GAAR). With so much riding on it, will Budget 2017 really be the blockbuster? We'll discuss:

  • Emerging opportunities in Budget 2017.
  • Analysis and impact of new tax proposals on your business.
  • The way forward.

Gain insights from Deloitte experts with an in-depth analysis of the 2017 India Budget.

Special Edition - International Tax
BEPS: Multilateral Convention

21 December 2016
* Length of webcast: 75 minutes
Host: Steve Towers
Presenters: Claudio Cimetta, Leonard Khaw, and David Watkins

The Multilateral Convention, which will give effect to the double tax treaty-related proposals in the BEPS project, was finalized and published on 24 November 2016. It is expected that the Convention will be signed by many countries and will have the effect of changing approximately 2,000 bilateral tax treaties. We’ll discuss:

  • Operation and structure of the Convention, including reservations, notifications, “opting out”, “opting in”, and symmetrical provisions.
  • Status of the BEPS Commentary.
  • BEPS minimum standards: preventing treaty abuse (for example, PPT and LOB provisions) and enhancing the mutual agreement procedure.
  • Other treaty-related BEPS proposals, in regard to (for example) hybrid entities, the “permanent establishment” definition, and mandatory binding arbitration.
  • Next steps.

The Multilateral Convention is a significant document in regard to double tax treaties – gain an understanding of how it works and how it can impact specific treaties.

Transfer Pricing
OECD Actions 8-10 and 13: How is transfer pricing guidance playing out globally?

13 December 2016
Host: Fiona Craig
Presenters: Eunice Kuo, Alan Shapiro, and Graeme Smith

In the year since the OECD issued BEPS guidance on transfer pricing, there has been a flurry of legislative and rule-making activity around the world. What major developments should you know about? We'll discuss:

  • A region-by-region review of how countries are adopting the guidance, including in Asia Pacific, EMEA, and the Americas.
  • An update on the guidelines, including revised rules for pricing and reporting of intercompany transactions based on Actions 8-10 and 13.
  • Implications for multinational companies, including potential impacts on business models.

Keep current with how the BEPS guidance is playing out and how the global tax reset could impact your business.

International Tax
Inbound investment into Korea: A clear view of the recent developments

8 December 2016
Host: Sunny Kim
Presenters: Jimmy Lee and Shin Ho Lee

Significant developments in Korea have caused an impact on inbound investment into the country, including the 2017 tax proposals and BEPS. What are the tax implications and risks associated with the investment process into Korea, and how can foreign investors proactively manage them? We'll discuss:

  • Overview of the selected proposed changes to Korean tax legislation in 2017 which may have implications on foreign inbound investors in Korea.
  • Implementation of BEPS Action 13 under the Korean domestic tax legislation and new transfer pricing documentation requirements for multinational enterprises in Korea.
  • Recent decisions from the Tax Appeals and Supreme Court case rulings.

Discover the latest inbound investment climate in Korea, and what might affect your benefits when investing in Korea.

Special Edition - International Tax
Brexit: Potential implications relating to the supply chain management for goods and employer considerations

6 December 2016
Host: David Fallon
Presenters: Sarah Chin, Tony Jasper, Sally Jones, and William Marshall

The UK government has declared that "Brexit means Brexit ", but as negotiations with the EU have yet to commence, the implications for businesses on their supply chains are as yet unknown. However, it is possible to anticipate the changes which are most likely and that will bring the most change. For employers, what does this Brexit mean in relation to their immigration, mobility, and reward policies? We'll discuss:

  • Potential UK trade deals.
  • Indirect tax implications, particularly customs duties.
  • Immigration – preparations employers can make now in advance of potentially significant changes.
  • Mobility – the consequences for mobility program policies and how other EU jurisdictions compare to the UK from an employee tax and social security perspective.

Keep up to date with the latest thinking on Brexit, the tax implications, and how to ensure your organization is prepared for the coming changes.

Indirect Tax
Digital economy and GST: Brave new worlds in India and New Zealand

29 November 2016
Host: Robert Tsang
Presenters: Allan Bullot, Saloni Roy, and Robert Tsang

Digital economy and indirect tax are hot topics in many countries around Asia Pacific as tax authorities seek to put both domestic and international suppliers of digital products to consumers in-country on the same footing. India's draft model GST law has extensive digital economy rules; the new dual GST could be in place as soon as 1 April 2017. New Zealand has a new set of compliance obligations going live in October 2016 for suppliers of digital services. How will the digital platform for your business be affected? We'll discuss:

  • Overview of the new digital economy rules, with a focus on India and New Zealand.
  • The comparison of these frameworks to the OECD VAT / GST International Guidelines.
  • The way forward.

Understand more about how these rules will work and discover how they apply to your company's indirect tax planning.

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