Transfer Pricing Investigations in China: When is my company at risk?
On 24th July 2019, Dezan Shira & Associates will host a webinar on the topic of Transfer Pricing Investigations in China.
On 28 March 2017 the SAT released its long-awaited Announcement on Special Tax Investigations, Adjustments and Mutual Agreement Procedures (Announcement 6). This followed on from the release of China’s revised transfer pricing compliance regulations earlier in June 2016. Announcement 6 integrates some of the OECDs BEPS work, particularly in relation to intangibles, into domestic regulations. It also consolidates previous regulations on self-adjustments and outbound payments and writes into regulation some of the existing practices adopted for transfer pricing audits.
With the introduction of Announcement 6, taxpayers will be able to better understand the focus points and the rationale of tax authorities when undertaking transfer pricing investigations.
Stay relevant and join our webinar with Paul Dwyer, our Head of International Tax and Transfer Pricing, who will provide you with an overview of Announcement 6 and summarise the key areas that taxpayers should be mindful of.
14:00 - 14:05 Welcome
14:05 - 14:55 Presentation by Paul Dwyer
14: 55 - 15:00 Closing
For Registration, please click below registration button.
Should you have any concerns, please let contact Phoebe Chen .