Global Transfer Pricing Forum – Asia 2014 THIRD ANNUAL
Transcription
Global Transfer Pricing Forum – Asia 2014 THIRD ANNUAL
THIRD ANNUAL Global Transfer Pricing Forum – Asia 2014 December 2 & 3 2014 | Orchard Hotel Singapore, Singapore JOIN OVER 150 DELEGATES OVER TWO-DAYS OF INTERACTIVE DISCUSSIONS TO: > > > > > Get up-to-the-minute insight on OECD BEPS developments and how they will impact your company Benefit from direct insights from revenue officials and top advisers about how best to organise your TP affairs Hear about regional developments in transfer pricing from specialists throughout Asia Learn about new audit approaches from revenue authorities and how best to react to them Explore problematic issues, such as permanent establishment and the profit level indicator, and how to implement best practices effectively Sponsors: Media partners: > TO REGISTER, OR FOR MORE INFORMATION: VISIT www.internationaltaxreview.com/AsiaTP2014 CALL +44 (0) 207 779 8334 EMAIL [email protected] TWITTER #AsiaTP2014 Third annual Global Transfer Pricing Forum – Asia 2014 December 2 & 3 2014 | Orchard Hotel Singapore, Singapore The Global Transfer Pricing Asia Forum returns on 2 & 3 December for its third year in Singapore. The Forum allows for open discussion of the latest in transfer pricing issues and connects attendees with leading transfer pricing professionals to share invaluable experiences in the company of their peers. With timely debates on the future of TP policy, through the OECD BEPS project and developments on country-by-country reporting, as well as providing an in-depth look at highly topical case studies, the Forum will provide taxpayers, in-house tax executives and private practitioners with up-to-the minute global transfer pricing information and debate. Delegates can expect to hear from global and regional heads of tax from across the globe, officials from tax administrations and global organisations and experienced transfer pricing advisers, who will provide you with authoritative insights and advice on transfer pricing policy in Asia. Who should attend: • • Corporate tax directors Corporate transfer pricing managers • • Revenue officials Private practitioners • • Finance directors Transfer pricing economists Orchard Hotel Singapore, Singapore 442 Orchard Road Singapore, 238879 Singapore Enjoy the vibrancy of the famous Orchard Road in the heart of the city’s premier shopping and entertainment district at the Orchard Hotel Singapore. This 5-star hotel accommodation features a contemporary design and the latest in technology for the ideal escape for work, rest and play. *Please note that all delegates are responsible for their own accommodation and travel. > TO REGISTER, OR FOR MORE INFORMATION: VISIT www.internationaltaxreview.com/AsiaTP2014 CALL +44 (0) 207 779 8334 EMAIL [email protected] TWITTER #AsiaTP2014 Agenda This year's Forum will cover: TP developments in Australia The panel will focus on the Chevron case, which focused on intercompany loans between the company and a foreign related party, which the ATO claims was an attempt to shift profits out of Australia. The panel will also look at the impact of the SNF case and its impact on Australian regulation changes. Handling/Managing TP audits With a particular focus on China, Thailand, India and Malaysia this panel will provide taxpayers with tactics for managing Asia-wide transfer pricing projects and give tips on how best to manage their affairs and avoid audit and dispute. Finding the profit level indicator Choosing the right method for calculating the arm’s-length price of a transaction can be a difficult decision for taxpayers. The profit level indicator (PLI) will be used to support their arguments if they find themselves in dispute with the authorities. Advisers provide a check list for making the right decision. This panel will suggest best practices and provide an overview of common mistakes made by taxpayers. It will also discuss various tax authority approaches. ‘Good forum to discuss and mingle with international tax experts’ – 2013 delegate Latest TP developments in Asia Focusing on all the latest regulation changes and amendments in the region, including changes to India’s TP regime, following the country’s 2014 budget. Taxpayers will learn about how to react to these changes, where the pitfalls lie within the changes and how to instil best practice across the group as a whole. Managing the TP aspects of restructuring in Asia Asian jurisdictions do not have a uniform approach to the way they regulate business restructurings, which can be problematic for multinational companies that need to restructure to make their companies, and their tax obligations, more efficient. This panel will discuss the restructuring environment in Asia and how transfer pricing departments can operate effectively within it. BEPS and country-by-country reporting Country-by-country (CbC) reporting has now become a serious focus for the OECD and will mean an increased compliance burden for taxpayers globally. This panel will focus on the reporting requirements taxpayers will have to undertake but will also explain what taxpayers will not necessarily be obliged to disclose. Permanent establishment issues Permanent establishment (PE) is becoming more complicated as regulators find it hard to keep pace with a rapidly developing digital economy. Taxpayers regularly find themselves in difficulty trying to decide whether certain operations in certain jurisdictions constitute a PE but the consequences of getting it wrong could mean big transfer pricing adjustments for multinational companies. Planning value chain management in BEPS This panel will focus on business transformations to create entrepreneurial structures within a group of companies, in light of the developments in the OECD BEPS project. It will discuss the best practices for doing so, whilst also focusing of the different types of intellectual property a company could be dealing with and how these different types of IP will affect any restructuring. ‘An excellent range of topics covered by very knowledgeable and experienced speakers’ – John Nash, Inland Revenue of New Zealand Commentators at last year’s forum attracted top transfer pricing professionals and tax authorities including: Amit Bhalla, Vice President, Tax & Customs APAC, Schneider Electric Jitendra Jain, Vice President - Transfer Pricing CoE, GE Paolo De Salvia, Group Head of Tax, Noble Kanupriya Prashar, Head of Transfer Pricing, Bharti Airtel Nitin Gupta, Director - Tax & Trade, Alcatel Lucent Han Jin Ping, Senior Tax Manager, Siemens Vineet Rachh, Head of Tax, Jabil Circuit Prasetyono Hendriarto, Transfer Pricing Specialist, PT Adargo Energy Frank Xue, Tax Director – Special Projects, Honeywell International Herawan Yunendra Hardi, Section Chief of Tax Audit on Corporate Group Transactions, Indonesian Revenue Authority Sam Sim, Deputy Head, Global Transfer Pricing, Standard Chartered Bank Jesse Kavanagh, Head of Tax, Asia Ex-Japan, Nomura Securities Tobey Hill, Asia Regional Tax Director, Citi > TO REGISTER, OR FOR MORE INFORMATION: VISIT www.internationaltaxreview.com/AsiaTP2014 CALL +44 (0) 207 779 8334 EMAIL [email protected] TWITTER #AsiaTP2014 I would like to register for International Tax Review’s Third annual Global Transfer Pricing Forum – Asia 2014 December 2 & 3, 2014 | Orchard Hotel Singapore, Singapore 1 REGISTER (Please tick one box) TEI members Super early bird rate (before September 12, 2014 ) Early bird rate (before October 17, 2014) Standard rate (after October 17, 2014) In-house tax executives USD 550 USD 650 USD 750 USD 350 USD 450 USD 550 Advisers/Consultants/ Private Practitioners USD 895 USD 995 USD 1095 Total remittance 2 YOUR DETAILS FOR REGISTRATION (Please print) DELEGATE 1 DELEGATE 2 Name Name Job title Job title Company Company Address Address Postcode Postcode Country Country Tel Tel Fax Fax Email Email 3 METHOD OF PAYMENT Payment must be received before the conference date to guarantee your place. Please tick box to select payment method and sign agreement in box Bank transfer quoting reference number £ Account – 01043191; Sort code – 30-00-02 IBAN no – GB 97 LOYD 300002 01043191 Lloyds Bank TSB Plc, City Office, PO Box 72, Bailey Drive, Gillingham Business Park, Gillingham, Kent, ME8 0LS, UK Please find cheque enclosed (please make payable to Euromoney Institutional Investor PLC) To make a payment by credit card, please register and pay online at www.internationaltaxreview.com/AsiaTP2014 or call +44 (0) 207 779 8542 Please note that in completing this booking form you undertake to adhere to the cancellation and payment terms listed below. $ Account – 11512129; Sort code – 30-12-18 IBAN no – GB 29 LOYD 301218 11512129 Signature: € Account – 59008833; Sort code – 30-12-18 IBAN no – GB 25 LOYD 301218 59008833 SWIFT address: LOYD GB2 LCTY Date: Position: The information you provide on this form will be used by Euromoney Institutional Investor PLC and its group companies (“we” or “us”) to process your order and deliver the relevant products/services. We may also monitor your use of the website(s) relating to your order, including information you post and actions you take, to improve our services and track compliance with our terms of use. Except to the extent you indicate your objection below, we may also use your data (including data obtained from monitoring) (a) to keep you informed of our products and services; (b) occasionally to allow companies outside our group to contact you with details of their products/services; or (c) for our journalists to contact you for research purposes. As an international group, we may transfer your data on a global basis for the purposes indicated above, including to countries which may not provide the same level of protection to personal data as within the European Union. By submitting this order, you will be indicating your consent to the use of your data as identified above. Further detail on our use of your personal data is set out in our privacy policy, which is available at www.euromoneyplc.com or can be provided to you separately upon request. If you object to contact by telephone , fax , or email , or post , please tick the relevant box. If you do not want us to share your information with our journalists , or other companies please tick the relevant box. > TO REGISTER: ONLINE www.internationaltaxreview.com/AsiaTP2014 TEL +44 (0) 20 7779 8334 FAX +44 (0) 20 7779 8279 EMAIL [email protected] TWITTER #AsiaTP2014 MAIL Alicia Sprott International Tax Review Nestor House, Playhouse Yard London, EC4V 5EX, UK ADMINISTRATIVE INFORMATION CANCELLATION POLICY: If you cannot attend you must cancel your registration in writing by 4 November 2014 to receive a refund less a 10% administration charge. Cancellations received after 4 November 2014, or no shows, are liable for the full conference fee. You may send a substitute to attend in your place at no extra charge, however we must know by 28 November 2014 via email. We cannot accept verbal cancellations. If you make your booking online, by email or via the telephone, you are automatically adhering to our terms and conditions. REGISTRATION: The registration fee includes participation in the forum on both days, documentation materials, breakfast, coffee breaks, lunches and a cocktail reception at the end of day one. All delegates are responsible for their own accommodation and travel. PAYMENT: All registration fees must be received in full prior to the event date. TRAVEL & ACCOMMODATION: Delegates are responsible for the arrangement and payment of their own travel and accommodation.