Conference "Deoffshorisation: from theory to practice" | Deloitte CIS | Tax has been added to your bookmarks.
Deoffshorization: from Theory to Practice
10 and 11 February 2015 | Conference
We are pleased to invite your company to a conference about the new tax law on taxation of controlled foreign companies (CFC), which took effect 1 January 2015. At the conference, we will discuss the procedure for calculating CFC profit - both the process and the mechanism - and the application of information exchange standards, the concept of beneficial ownership, and tax residence. Leading specialists from Deloitte offices in Russia and other countries will present at the conference. A Managing Tax Partner from Deloitte Cyprus will speak about information disclosure and exchange, as well as reporting in Cyprus. Representatives of state authorities are also expected to participate.
During the conference, we will consider the most topical and complex issues arising from the law, including:
- the procedure for notification of tax authorities on participation in foreign companies;
- streamlining information collection and reporting processes:
− statutory audit requirements in the country of CFC registration;
− improving information exchange between the CFC and the controlling company;
− planning profit distribution within the group;
− CFC profit calculation;
- expectations regarding the mechanism of information exchange between jurisdictions.
Date: 10 February 2015 - for corporations
11 February 2015 - for private companies
Time: 09:30 a.m. - 02:00 p.m.
Venue: Deloitte CIS office, 2nd floor, 5 Lesnaya St.
Date and Venue
The conference will be delivered in Russian. The event will be free of charge.
Conference participants are subject to registration. If you wish to attend the conference, please complete the registration form here no later than 5 February 2015.
If you have any questions, please do not hesitate to contact Natalia Goncharova at +7 (495) 787 06 00 or by email at email@example.com.
We are looking forward to seeing you at the event.