TAX CONFERENCE - Organization For International Investment
Transcription
TAX CONFERENCE - Organization For International Investment
TAX CONFERENCE Wednesday, May 13th to Saturday, May 16th at the Ritz-Carlton, Dove Mountain CONFERENCE CO-CHAIRS KAREN HALBY Senior Vice President, Head of Global Tax Sony Corporation of America GARY HICKMAN Senior Vice President, Tax & Risk Management Oldcastle PROGRAM Wednesday, May 13th 7:00 PM to 9:00 PM Thursday, May 14th WELCOME RECEPTION 7:30 AM BREAKFAST AVAILABLE 8:00 AM to 9:30 AM OFII YEAR IN REVIEW: 2015 ADVOCACY PRIORITIES OFII will provide an update on our legislative priorities and initiatives at both the state and federal levels. 9:30 AM to 11:00 AM TAX LEGISLATION: OUTLOOK FOR REFORM The current legislative outlook includes talk of potential tax reform from both sides of the aisle. Will it be real this time? What are the potential outcomes? Who will be the winners and losers? Regulatory actions could include anti-inversion regulations pursuant to Notice 2014-52, and regulations on valuing IP. In addition, this session will discuss the future of interest deductibility in light of OECD actions, and possible U.S. responses. SPEAKERS JASON BAZAR Mayer Brown BILL DODWELL Deloitte WARREN PAYNE Mayer Brown JON TRAUB Deloitte 11:15 AM to 12:45 PM BREAKOUT SESSIONS Participants will attend their first of two selected breakout sessions for the day. TOPICS 1) FINANCING STRUCTURES FOR A CHANGING TAX LANDSCAPE This session will explore the future tax landscape impacting global capital structures. We will discuss the impact of BEPS Actions 2 (hybrids), 4 (debt), and 6 (treaties) on current intercompany financing structures, and what alternatives may be viable in the future. SPEAKERS JON GOLDBLATT Deloitte SCOTT STEWART Mayer Brown BOB STRICOF Deloitte 2) TRENDS & TRANSACTIONS: IP MIGRATION & COST SHARING This session will discuss in depth cutting-edge issues in IP ownership and IP migration including: defining substance and IP ownership when control of IP is dispersed globally and managed virtually; observations on the economics of sophisticated licensing models such as fixed or hybrid fixed/contingent royalties, options, contingent services, and profit splits; advances in IP partner ships (e.g., special allocations of R&D, tracking preferred, curative allocations as an alternative to remedial allocations); and corporate freeze structures using 20-year recovery and/or dividend offsets. We will also discuss the practical challenges of operating under these structures after they are implemented. LEW GREENWALD SPEAKERS Mayer Brown DAN MARKIEWICZ Deloitte KEITH REAMS Deloitte SPEAKERS 3) MANAGING U.S. CASH TAXES This session will focus on current opportunities to reduce cash taxes by deferring revenue and accelerating expenses and cost recovery. We will discuss planning opportunities with tangible property as well as the accounting methods that our inbound companies have successfully implemented. TOM DRISCOLL Deloitte ED OSTERBERG Mayer Brown TOM REYER Deloitte 12:45 PM LUNCH IS SERVED 1:00 PM to 2:30 PM BEST PRACTICE DISCUSSION This session, lead by OFII tax leadership, will provide a closed-door forum for participants to share experiences and discuss issues of common concern. 2:45 PM to 4:15 PM BREAKOUT SESSIONS Participants will attend their second selected breakout session of the day. 4:15 PM SESSIONS CONCLUDE 7:00 PM DINNER Friday, May 15th 7:30 AM BREAKFAST AVAILABLE 8:00 AM to 9:30 AM LATEST TRENDS IN TAX CONTROVERSY Current IRS enforcement is being shaped by external forces (e.g., BEPS-like arguments for risk and control, a novel transfer pricing technique from Germany) and internal changes (e.g., LB&I changes, AJAC). How do these changes affect your transfer pricing? Valuation of intangible assets? Handling requests for extraterritorial information? APAs? IRS audits and appeals strategy? Penalty defenses? Reserves? This session will identify the practical implications of these trends for your organization. SPEAKERS CABELL CHINNIS Mayer Brown KERWIN CHUNG Deloitte JASON OSBORN Mayer Brown 9:45 AM to 11:15 AM BREAKOUT SESSIONS Participants will attend their first of two selected breakout sessions for the day. TOPICS 1) BUSINESS MODELS OF THE FUTURE This session will consider current best practices and emerging issues on supply chain planning regarding U.S. manufacturing and U.S. distribution. We will discuss the tax and business issues associated with U.S. manufacturing under contract and toll arrangements, the future of LRDs and other business fragmentation structures, and (if relevant) the impact of home country actions such as the UK diverted profits tax on supply chains. The session will also address emerging trends regarding IP ownership and risk allocation. SPEAKERS SPEAKERS JIM BARRY Mayer Brown GRETCHEN SIERRA Deloitte MICHAEL STEINSALTZ Deloitte 2) THE IMPORTANCE OF WELL-DRAFTED INTERCOMPANY AGREEMENTS IN TAX PLANNING Intercompany agreements generally form the basis of a company’s economic, functional, legal, and tax positions. IRS and worldwide tax authorities routinely request copies of intercompany agreements during examinations. A poorly-drafted intercompany agreement may deprive a taxpayer of the benefits of good tax planning and generate unnecessary tax controversies. This session will present the best practices in drafting intercompany agreements using real examples (intercompany notes, services agreements, employment contracts, etc.) to demonstrate how to bolster a taxpayer’s tax positions. The audience will learn practical tips and a basic approach to drafting intercompany agreements that will be beneficial, defensible, and sufficiently flexible and enduring to the company. DAN DUMEZICH Deloitte ERIN GLADNEY Mayer Brown SHAWN O’BRIEN Mayer Brown SPEAKERS 3) ANATOMY OF A TRANSFER PRICING CASE For most taxpayers, defending your company’s transfer pricing in audit and being ready for appeals (if necessary) is the single largest tax controversy concern. Building on the tax controversy trends session, this session will provide practical help with anticipating this challenge by reviewing the typical evidence that must be developed, showing why such evidence is important, and discussing where in the corporate structure such evidence may be found. In addition, this presentation will discuss how to build a successful position within the evolving procedures in LB&I and IRS Appeals, including the work that must be done properly in audit in order to be ready for IRS appeals under the new AJAC rules. PAUL DISANGRO Mayer Brown MIKE EMERSON Mayer Brown ELENA KHRIPOUNOVA Mayer Brown 11:30 AM to 1:00 PM BREAKOUT SESSIONS Participants will attend their second selected breakout session of the day. 1:30 PM to 5:00 PM AFTERNOON ACTIVITIES 7:00 PM Saturday, May 16th DINNER 8:00 AM BREAKFAST AVAILABLE CONFERENCE CONCLUDES ROB PLUNKETT Deloitte