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Organization

SIATP

Type of Event

Seminar

Location of Event

Tripleone Somerset (F.k.a. Singapore Power Building), 111 Somerset Rd

Contact Information

Fauzana
enquiry@siatp.org.sg
65975718 / 67498060

CPE/CLE Credits

2.5 CPE Hours

Fee

$75 (SIATP/ISCA/ISCA Plus/ATTS Member); $108 (Non-Member)

Organization Website

SIATP

BEPS Action Plan - Opportunities & Repercussions

Online, Singapore, 238164
October 10th, 2013
9:30 AM (UTC +8:00), Singapore, SGP

Event Speaker

Mr Robert Feinschreiber
Senior Partner, Quantera Global
Robert is a Senior Partner at Quantera Global, the premier transfer pricing firm and an attorney. He
focuses on resolving transfer pricing disputes and on developing comprehensive worldwide transfer pricing strategies for large and mid-sized businesses.

Robert has been a consultant to several foreign governments in transfer pricing issues, but his primary activity is to defend international businesses. He focuses on OECD transfer pricing, transfer pricing in the United States and in Asia.

An author of more than 100 current articles on taxation, Robert has been quoted as an authority by the U.S. Tax Court, Businessweek and Forbes.
Ms Margaret Kent
Senior Partner, Quantera Global
Margaret is a Senior Partner at Quantera Global, the premier transfer pricing firm and an attorney for 20 years. Together with Robert, she focuses on resolving transfer pricing disputes and on developing comprehensive worldwide transfer pricing strategies for large and mid-sized businesses.

Margaret has been a consultant to several foreign governments in transfer pricing issues but her primary activity is to defend international businesses. She
focuses on OECD transfer pricing, transfer pricing in
the United States, Asia and South America.

Margaret is also the co-editor of both Corporate Business Taxation Monthly and International Mergers and Acquisitions.

Event Description

The Comprehensive Action Plan (CAP) for Base Erosion and Profit Shifting (BEPS) was published by The Organisation for Economic Co-operation and Development (OECD) on 19 July to address the perceived flaws in the current international tax laws. With the Plan, revisions to transfer pricing guidelines, tax treaty and international procedures are inevitable.
Just what do these action plans imply and how can companies leverage on these opportunities? In a rare opportunity, don’t miss out on this technical update which will examine the 15 BEPS Actions through 10 practical case examples. Join in the discussion and be ‘clued in’ on the practical specifics of the BEPS Action Plan.

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