DID YOU MISS THE CONDUCTING A TRANSFER PRICING TRIAL WORKSHOP?

DON’T WORRY, WE HAVE YOU COVERED – VIEW THE RECORDING OF THE EVENT

Details of the Workshop:

Learn how to best CONDUCT A TRANSFER PRICING TRIAL with leading experts Prof. Dr. Daniel N Erasmus and Mr. Renier van Rensburg from Middlesex University and The Academy of Tax Law. 

  • Expert Insights from Prof. Dr. Erasmus’s extensive experience in Transfer Pricing trials, providing you with a deep understanding of the complexities and nuances involved in such cases.
  • Practical Strategies for professionals to effectively handle transfer pricing disputes are crucial for navigating the challenges of revenue authorities in different jurisdictions.
  • Advanced Knowledge that can enhance their expertise in Transfer Pricing and International Taxation.

CLICK HERE TO VIEW THE RECORDING FREE OF CHARGE!


ADDITIONAL BENEFITS

When registering to view this FREE RECORDING I will personally offer you:

  • 10% off any one of the Postgraduate Qualifications listed below.*
  • 20% off the (already) discounted Pre-Order price of my upcoming book – “Conducting a TP Trial“*

*To receive these discounts you will need to:

  1. Register on the InformaConnect Workshop Portal to view the workshop
  2. Once you have registered, email daniel@iitf.net and inform me, and I will unlock your discount codes.

POSTGRADUATE PROGRAMMES

The following Postgraduate Programmes are offered by Middlesex University in partnership with the Academy of Tax Law and InformaConnect Ltd:

Postgraduate Programmes in Transfer Pricing:

APPLICATIONS NOW BEING ACCEPTED (Closes End of March 2024)


Postgraduate Programmes in International Taxation:

APPLICATIONS NOW BEING ACCEPTED (Closes End of March 2024)


Postgraduate Programmes in South African Tax Law:

APPLICATIONS NOW BEING ACCEPTED (Closes End of March 2024)


Have some questions about the programmes?

Please don’t hesitate to contact our Education Consultant, Ben Ellis, at tp@informaconnect.com or call us on +44(0)2080522710.

Related Articles

France vs SAS Roger Vivier: TRANSFER PRICING CASE

The judgment revolves around a tax dispute between SAS Roger Vivier Paris, a distributor of luxury goods, and the French tax authorities. The core issue concerns transfer pricing adjustments made for the financial years 2012–2014, with the tax authorities asserting that SAS Roger Vivier Paris indirectly transferred profits to foreign-related parties in non-arm’s length conditions.

Czech Republic vs RR Donnelley Transfer Pricing Case

The case Czech Republic vs. RR Donnelley Czech s.r.o. revolved around a transfer pricing dispute concerning the application of Section 23(7) of the Czech Income Tax Act (ITA). The core issue was whether RR Donnelley Czech s.r.o. had correctly applied the arm’s length principle in a transaction involving the purchase of hard disk drives (HDDs) on behalf of Banta Ireland, a related entity.