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Webinar: Recent Transfer Pricing Court Cases- Precedents Shaping the Tax Landscape

December 4, 2024 @ 4:00 pm - 5:00 pm

Free

Register here and join us for an insightful webinar tailored to tax professionals seeking practical guidance on the legal and strategic implications of recent transfer pricing court cases. As the global tax landscape evolves, understanding these landmark rulings is essential for navigating compliance, managing risks, and optimizing transfer pricing strategies.

In the fast-changing world of global tax, transfer pricing disputes are becoming increasingly influential in shaping regulations and compliance standards.

This webinar delves into pivotal court cases that are redefining how organizations manage transfer pricing and related tax strategies. By analyzing these landmark rulings, we aim to provide practical guidance and actionable insights for tax professionals and businesses operating across borders.

Key cases under discussion include:

  • PepsiCo, Inc v Commissioners of Taxation [2023] FCA 1490, which examines how intangible-related profits are allocated under existing frameworks.
  • Commission v Ireland, Case C 465/20, a critical case exploring state aid implications and their intersection with transfer pricing rules.
  • DEMPE-focused cases such as Mercedes-Benz India Pvt. Ltd. and Swedish Stockmann Sverige AB, which highlight the increasing judicial scrutiny of DEMPE principles in disputes concerning intangibles.

Why Attend?

  • This webinar is designed to help tax professionals, finance teams, and decision-makers stay ahead of the curve by:
    • Understanding the practical implications of recent court rulings on tax planning and compliance.
    • Gaining insights into how DEMPE principles are applied in judicial settings and their impact on global tax strategies.
    • Learning strategies to navigate the complexities of transfer pricing in light of evolving precedents.

    Agenda

    1. Introduction to Recent Transfer Pricing Court Cases

    • The growing importance of judicial decisions in shaping tax and transfer pricing frameworks.

    2. Case Analysis: PepsiCo, Inc v Commissioners of Taxation [2023] FCA 1490

    • Allocation of intangible-related profits and its implications for multinational organizations.

    3. Case Analysis: Commission v Ireland, Case C 465/20

    • Insights into state aid rulings and their effect on transfer pricing policies.

    4. DEMPE Principles in Focus

    • Key lessons from Mercedes-Benz India Pvt. Ltd. and Swedish Stockmann Sverige AB regarding the judicial application of DEMPE functions.
    • Implications for the interpretation of OECD Guidelines.

    5. Practical Takeaways and Strategic Guidance

    • What these cases mean for future tax planning and compliance.
    • Tips for navigating disputes and mitigating risks.

    6. Q&A with Speakers

    • Open discussion to address your specific questions.

Register Here


This webinar is essential for anyone involved in web scraping activities, helping you navigate the legal landscape, mitigate risks, and ensure your practices are both compliant and ethical.

Speakers

Date and Time

Wednesday, 4th December, 2024

16:00 – 17:00 CET.

Platform: Zoom

Venue

Zoom

Organizer

TPA Global