Transfer Pricing post BEPS-OECD/G20

Transfer Pricing post BEPS-OECD/G20

When:
Tuesday, 14 November 2017

Activity Time:
09.00 a.m. to 05.00 p.m

Where:
DDTC Academy
Menara Satu Sentra Kelapa Gading 5th Floor,
Unit #0501
Jl. Bulevar Kelapa Gading LA3 No.1 Summarecon
Kelapa Gading Jakarta Utara 14240

Investment:
IDR 3.000.000,-
(Click here for discount)

Background:
At the end of 2015, the OECD, together with G20, completed a framework which contains measures in anticipation of and response to BEPS practices that have become a global problem. This framework consists of 15 BEPS recommended action plans for the countries of the world to be further accommodated by domestic regulations. Indonesia as a G20 member country participates and supports the implementation of these BEPS action plans.

To be able to apply and work together with a BEPS action plan, Indonesia needs to make adjustments to the provisions of domestic regulation. These adjustments will certainly give their own influence on the tax system in Indonesia and the effect would be felt primarily by multinational companies that conduct a great deal of cross-border transactions as well as having international tax planning schemes (international tax planning).

Owing to this fact, multinationals are demanded to immediately prepare for the changes that will occur from the application of BEPS action plans in Indonesia. Therefore, an understanding of BEPS and the action plan and the implications and plans to apply in Indonesia is very important to know.

Topics Covered:

  • Background,
  • What is BEPS?
  • BEPS Actions: An Overview,
  • The transfer pricing Action Plans, which may have an impact on a company’s operation (Action 4, 8 – 10, 12 & 13),
  • Understanding the implication of BEPS for Indonesia.

Lecturers:

Romi Irawan

Romi Irawan

Veronica Kusumawardani

Veronica Kusumawardani

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When:
Tuesday, 14 November 2017

Activity Time:
09.00 a.m. to 05.00 p.m

Where:
DDTC Academy
Menara Satu Sentra Kelapa Gading 5th Floor,
Unit #0501
Jl. Bulevar Kelapa Gading LA3 No.1 Summarecon
Kelapa Gading Jakarta Utara 14240

Investment:
IDR 3.000.000,-
(Click here for discount)

Background:
At the end of 2015, the OECD, together with G20, completed a framework which contains measures in anticipation of and response to BEPS practices that have become a global problem. This framework consists of 15 BEPS recommended action plans for the countries of the world to be further accommodated by domestic regulations. Indonesia as a G20 member country participates and supports the implementation of these BEPS action plans.

To be able to apply and work together with a BEPS action plan, Indonesia needs to make adjustments to the provisions of domestic regulation. These adjustments will certainly give their own influence on the tax system in Indonesia and the effect would be felt primarily by multinational companies that conduct a great deal of cross-border transactions as well as having international tax planning schemes (international tax planning).

Owing to this fact, multinationals are demanded to immediately prepare for the changes that will occur from the application of BEPS action plans in Indonesia. Therefore, an understanding of BEPS and the action plan and the implications and plans to apply in Indonesia is very important to know.

Topics Covered:

  • Background,
  • What is BEPS?
  • BEPS Actions: An Overview,
  • The transfer pricing Action Plans, which may have an impact on a company’s operation (Action 4, 8 – 10, 12 & 13),
  • Understanding the implication of BEPS for Indonesia.

Search Event

Inquiry Form

[]
1 Step 1
Nameyour full name
Telephoneyour full name
Questionmore details
0 / 300
reCaptcha v3
Previous
Next

Capability Comprehension of Our Participants

Testimonials

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