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  • ATO response to the Chevron Case and other significant transfer pricing development

ATO response to the Chevron Case and other significant transfer pricing development

Date: 26 July 2017
Time: 07:15 - 09:00
Collins Square Event Centre
Upper Podium, Tower Two, Collins Square
727 Collins Street
Melbourne, VIC  3008
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  • Summary

The ATO’s recent Chevron win together with the OECD’s BEPS developments have had a significant impact on the Australian and global transfer pricing landscape. Operating in such a highly scrutinised environment, taxpayers need to be vigilant and proactive in managing their transfer pricing obligations.

BDO’s Transfer Pricing and Corporate Tax experts will be joined by guest speakers from the ATO to address the following:

  • Intra-group loans – the Chevron case and the draft Practical Compliance Guidelines (PCG) 2017/D4 (traffic light approach to risk assessment);
  • Update on ATO’s recent activity and compliance initiatives; 
  • Practical approach to addressing Country-by-country Reporting (CBCR) obligations; and 
  • Specific anti-avoidance rules focussed on Significant Global Entities (SGE) - Multinational anti-avoidance law (MAAL) and Diverted Profits Tax (DPT). 

We hope you can take part in this valuable opportunity to hear firsthand from advisers dealing with live commercial and risk issues faced by corporates of all sizes.