Level
Topic
Location
Webinar | Intermediate
OECD Transfer Pricing Guidelines and Areas of Controversy
This webinar discusses the current trends in transfer pricing controversies associated with the 2022 OECD Guidelines. Follow this…This webinar discusses the current trends in transfer pricing controversies associated with the 2022 OECD Guidelines. Follow this…
Webinar | English | Intermediate
Tax challenges deriving from the metaverse and Web 3.0
This webinar examines the tax challenges deriving from the Metaverse and Web 3.0. In basic terms, the Metaverse (also defined as…This webinar examines the tax challenges deriving from the Metaverse and Web 3.0. In basic terms, the Metaverse (also defined as…
Webinar | English | Intermediate
Treaty Anti-Abuse Rules and Corporate Tax Structuring
Following the implementation of the G20/OECD BEPS Action Plan, in particular Action 6 on treaty anti-abuse rules and the…Following the implementation of the G20/OECD BEPS Action Plan, in particular Action 6 on treaty anti-abuse rules and the…
Webinar | English | Intermediate
Substance requirements in post-BEPS international tax planning
Following the implementation of the G20/OECD BEPS Action Plan, international tax planning practices have gone through a seismic…Following the implementation of the G20/OECD BEPS Action Plan, international tax planning practices have gone through a seismic…
Webinar | English | Intermediate
Unshell Directive Proposal: Tax Implications and Critical Issues
This webinar examines the so-called Unshell (or ATAD 3) Directive proposal, presented by the European Commission to fight against…This webinar examines the so-called Unshell (or ATAD 3) Directive proposal, presented by the European Commission to fight against…
Webinar | English | Intermediate
The State of the Art of Pillar One and Pillar Two
In October 2021, the vast majority of the Inclusive Framework (IF) member countries agreed upon a two-pillar solution to address…In October 2021, the vast majority of the Inclusive Framework (IF) member countries agreed upon a two-pillar solution to address…
Webinar | English | Intermediate
Transfer Pricing Consequences of Sanctions against Russia
Several countries within the European Union and outside have imposed a variety of sanctions against Russia. This is becoming a…Several countries within the European Union and outside have imposed a variety of sanctions against Russia. This is becoming a…
Webinar | English | Intermediate
US International Tax Reform
This 1-hour webinar gives an overview of the proposals being considered by the US Congress to update the US international tax…This 1-hour webinar gives an overview of the proposals being considered by the US Congress to update the US international tax…
Webinar | English | Intermediate
The OECD Pillar 2: Focus on the GloBE Rules
This webinar discusses the latest developments concerning Pillar Two, the second component of the global tax reform aimed at…This webinar discusses the latest developments concerning Pillar Two, the second component of the global tax reform aimed at…
Webinar | English | Introductory
The Role and Importance of Transfer Pricing in International Tax Planning
Transfer pricing has become one of the core areas of international taxation. Transfer pricing developments, legislative changes…Transfer pricing has become one of the core areas of international taxation. Transfer pricing developments, legislative changes…
Online Tax Course | Intermediate
Transfer Pricing and Indirect Taxes
This course will be focused on the interaction of transfer pricing, VAT and customs, and how those areas have different valuation…Online Tax Course - IntermediateThis course will be focused on the interaction of transfer pricing, VAT and customs, and how those areas have different valuation…
Online Tax Course | Intermediate
Cross-Border Corporate Tax Structuring
This course provides an in-depth understanding of cross-border corporate tax structuring practices in the post-BEPS environment…Online Tax Course - IntermediateThis course provides an in-depth understanding of cross-border corporate tax structuring practices in the post-BEPS environment…