Transfer Pricing Bookmark has been added
Navigating what’s next
After several years of tax reform in the United States and other countries, transfer pricing controversies still abound. Should multinational businesses still consider Advanced Pricing Agreements (APAs) and Mutual Agreement Procedures (MAPs) as strategies for mitigating the risk of transfer pricing controversies and double taxation? Participants will hear from the Director of the IRS APMA program about transfer pricing, APA, and MAP developments, and identify the related impacts to their organization.
The intersection of transfer pricing and customs: Look both ways
September 17, 2019
Taxing the global digital economy: What all multinationals should know
September 9, 2019