Transfer Pricing | 4 October 2013 | Moscow, Russia

 

From the 1 December 2013 tax authorities will be entitled to start demanding transfer pricing documentation on the controlled transaction. Without doubt transfer pricing risks are becoming most dangerous factor for the effective tax planning and could significantly affect functioning of the company.

Building an effective transfer pricing function within the company becomes a key objective for many businesses in light of fight against erosion of the tax base and implementation of aggressive tax planning schemes.

“Transfer Pricing” conference organised by Regent Capital Communications will bring together leading experts and practitioners in various sectors to share best practices in preparing for the upcoming tax audits on transfer pricing. During the event, representatives of the corporate sector, law firms, regulatory bodies and OECD will address the most current issues and practices related to the forthcoming with the upcoming tax control:

 

 

 


 

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