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WebinarWebinar: Practical Tax Treaty Application Post-BEPS

The webinar Practical Tax Treaty Application Post-BEPS looks at a number of key aspects that should be considered when claiming treaty benefits. The first element that will be discussed is who is entitled to access a tax treaty with attention to residence issues, the saving clause, the new corporate tiebreaker rule and limitation-on-benefits provisions. Once a person is entitled to access the tax treaty, the second element to look at is whether the person is entitled to the treaty benefits in question. The webinar will look at several anti-abuse provisions, such as beneficial ownership, the principal purpose test, the anti-splitting-up of contracts and anti-fragmentation rules for permanent establishments, and the provision against dividend stripping. Thirdly, and finally, the webinar will address some examples where the characterization of income is different in the source state and in the residence state and analyse which solutions are possible to ensure that double taxation is effectively prevented.
 
Type:
Webinars
Language:
English
Level:
Intermediate
Price:
EUR 85 / USD 105 (VAT excl.)
Client offer:

Client offer: Included in the subscription package for IBFD Membership clients and 10% discount for Global Tax Explorer (Plus) clients.
Bulk discount: a 20% discount will be applied to registrations received for 5 people or more made in one order.

 
Important to note: If you register for a live webinar, your access will remain active for 12 months after the broadcast (in case you are unable to follow it live). Registrations for the live webinar will be closed in the morning, one day prior to broadcast.
 
Webinar: Practical Tax Treaty Application Post-BEPS

Learning objectives

Topics to be discussed in this webinar include the rules included in tax treaties on who may apply tax treaties, when treaty benefits may be denied and what to do in cases of income characterization mismatches.  
After following this webinar, participants will be able to:

  • determine what the tax treaty requirements are in relation to the issue of treaty access;
  • understand the saving clause and the new corporate tiebreaker rules;
  • apply the limitation-on-benefits tests;
  • interpret the beneficial ownership concept;
  • apply the principal purpose test (general anti-avoidance rule (GAAR)) and some specific anti-avoidance rules (SAARs); and
  • understand the options in the case of a mismatch relating to the characterization of income.

Field of study

Taxes

 

Who should participate

The webinar is suitable for all tax professionals, including accountants, in-house tax personnel (e.g. directors and managers), lawyers and tax advisers who deal with cross-border transactions, structures or cases and wish to understand the risks, challenges and controversies related to TP substance requirements in the post-BEPS world. 

Course level and prerequisites

This is an intermediate-level webinar. Participants are expected to have a good understanding of international tax law.

 

Advance preparation

Participation in this webinar does not require any preparation.

 

Interactive webinar - “Group Internet Based” (live webinar only)

To safeguard the interactive nature of the webinar, a limited number of participants will be accepted. Early registration is therefore recommended. During live webinars, it is possible to interact with the presenters via a chat message function. Please note that questions are answered based on relevance, order of receipt and available time. Additionally, participants in the live webinar are invited to answer poll questions or complete short tests. Participants who follow the live broadcast will also have access to the on-demand version for a further 12 months from the live date.
Date of live broadcast: 23 July 2020

 

On-demand webinar

On-demand webinars are intended for individual self-study only. Unlike live webinars, they are not open to interactive participation or assistance of a real-time instructor. Access to on-demand webinars is granted for a period of 12 months from the date of registration and/or live broadcast.

 

Continuing Professional Education

Many accrediting organizations will grant continuing professional education (CPE) credit(s) for an IBFD audio-visual broadcast. It is advisable, however, that you check with your accrediting body as to whether this applies only to live webinars or to on-demand webinars as well.
 
The International Bureau of Fiscal Documentation (IBFD) is registered with the National Association of State Boards of Accountancy (NASBA) as a sponsor of continuing professional education on the National Registry of CPE Sponsors. State boards of accountancy have the final authority on the acceptance of individual courses for CPE credit. Complaints regarding registered sponsors may be submitted to the National Registry of CPE Sponsors through its website: www.nasbaregistry.org. NASBA CPE credit - 1 (only applicable to live webinar​).

 

Webinar registration details

If you have any questions regarding following the webinar, technical requirements, payments or cancellations, please consult our FAQ.
  • Treaty access
  • Treaty benefits
  • Characterization of income
  • Bart Kosters
    Bart Kosters is a Senior Principal Research Associate in IBFD’s Tax Services Department in Amsterdam. He has over 30 years of experience in domestic and international taxation. His areas of...
  • Vanessa Arruda Ferreira is Principal Associate for the Latin America Knowledge Group. She is the chief editor for Latin America and an instructor for IBFD International Tax Training, and she is...
  • Laura Ambagtsheer-Pakarinen is a Senior Research Associate of IBFD’s European Knowledge Group. She obtained her law degree in 2004 and an LLM in International Business and Company Law in 2006...