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BEPS update: What final guidance means and how countries are adopting it

December 17, 2015

The OECD's final Base Erosion and Profit Shifting (BEPS) guidance is due in September. What are new developments and how are local countries interpreting the guidance? Learn about the latest BEPS developments and how your company can plan for the new global tax environment going forward.

OECD transfer pricing guidelines: After crossing the finish line, what's next?

October 27, 2015

The Organization for Economic Cooperation and Development (OECD) is expected to release its final Base Erosion and Profit Shifting (BEPS) guidance on transfer pricing in early October. What are the changes and how might they impact your current transfer pricing policies? Learn how the OECD's recent activity could affect transfer pricing going forward and what multinationals can expect next.

Transfer pricing update: How is BEPS influencing Latin American legislation and rule-making?

September 16, 2015

The OECD's Base Erosion and Profit Shifting (BEPS) initiative is impacting tax legislation world-wide. How are Latin American countries addressing the guidance? Stay abreast of BEPS-related transfer pricing changes and how they might impact your activities in Latin America.

Digital globalization: Transfer pricing implications of evolving business models and structures

August 12, 2015

As the digital economy expands globally, companies are exploring new ways to tap into new markets. What transfer pricing implications can such changes have? Learn about potential transfer pricing issues and opportunities that can arise when your organization tries new strategies in a rapidly changing digital economy.

OECD Transfer Pricing guidelines: Nearing the finish line

July 15, 2015

As of early July, the Organization for Economic Cooperation and Development (OECD) is in the final stretch of completing its work on the Transfer Pricing Guidelines, in response to its Action Plan on Base Erosion and Profit Shifting (BEPS). What are the latest developments, and what changes are coming? Hear an update on OECD's recent activity and what to expect next.

The Base Erosion and Profit Shifting Initiative: Individual Country Approaches

June 16, 2015

Even in advance of its finalization, the OECD's BEPS initiative is already influencing local country tax legislation. These changes have caused, and could cause more, significant controversy around pricing of intercompany transactions resulting in structural changes to financing global operations and treasury functions. The initiative's finalization may produce greater demands on already constrained tax department resources. Gain valuable insights on this important initiative.

Advanced Pricing Agreements and Mutual Agreement Procedures: Adapting to the Times

May 13, 2015

Global transfer pricing controversies are growing and global tax authorities are adapting their Advanced Pricing Agreement (APA) and Mutual Agreement Procedures (MAP) programs for the increased caseload. Accordingly, APAs and MAPs are attractive strategies to address transfer pricing risk and double taxation. How OECD BEPS proposals are impacting the APA and MAP process. Learn how these changes could affect taxpayers' management of transfer pricing risks.