An increasing number of companies are becoming more and more international in nature, as a result of their increasing volume of related party transactions or the continuous improvement of their supply chains. This, combined with increased cross-border cooperation between tax authorities and the emergence of more and more demanding transfer pricing regulations, creates risks for international companies of all sizes, particularly in the area of transfer pricing.
Transfer pricing involves several tax, legal and operational challenges. For many taxpayers, these challenges include the significant time investment required to document intra-group transactions and the resources required in the event of a transfer pricing audit. For example, the number of reassessments relating to international flows has increased by more than 30% over the last three years. These considerations are at the heart of current international discussions, for example in the context of Pillar 1, Amount B, which was put out to public consultation by the OECD on 8 December.
This webinar, which is in French, is aimed at internationally active companies, and will offer a Franco-Luxembourg perspective on the main issues relating to the taxation of intra-group transactions as well as recommendations on the methods and policies to be implemented.
Daniel Riedel, Partner in our tax department will be one of the speakers at this webinar.
Follow the link for more information, including how to register to the Legitech Transfer Pricing : A Franco-Luxembourg perspective webinar.
Share on