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Global Transfer Pricing

Centralising intangible property to minimise your tax risks in global organisations

Date: Februari 11, 2009
Venue:  Hotel Okura AMsterdam
City: Amsterdam, The Netherlands

Hear from your eminent Speaker panel :

Henrik Arhnung General Manager of Transfer Pricing

A. P. MØLLER-MÆRSK GROUP

 

Jan-Paul Vestering Transfer Pricing Manager

CARLSBERG BREWERIES

 

Eva Gerebäck Transfer Pricing Specialist

ERICSSON

 

Thomas Neale Head of Task Force - Common Consolidated Corporate Tax Base

EUROPEAN COMMISSION

 

Mayra Lucas Transfer Pricing Advisor

OECD

Event Summary:

Transfer Pricing is the most important tax issue today amongst multinational companies with business operations worldwide. Transfer pricing is a method to transfer property from one company to another located in countries with lower tax rates in order to reduce your company's tax risks.

Amongst TP managers today, the key issue is to successfully govern a company's intangible property and comply rules in order to reduce tax risks within the group. The challenge is to value the price of intangible property successfully. Intangible property, IP, covers patents, licensing, trademarks and the know-how to produce and promote goods and services through third-party agents. By centralising the IP value to international financial centres, the TP manager are able to hold on the IP and license to subsidiaries and business partners across the globe.

This one-day conference brings together leading industry players to provide your organisation with a platform to maximise your transfer pricing strategies. Our distinguished cross-industry speaker panel will facilitate your TP manager with the best tactics and strategies to optimise your company's IP value and also minimise your company's tax risks in an international business environment.

This conference will tackle key issues such as:

  • Examining current status and future trends in the Transfer Pricing world
  • Establishing cross-process teams to align and control your transfer pricing-related activities
  • Identifying the intangible property to value the IP and charge your group-companies
  • Centralising intangible property in one legal entity to maximise your IP value
  • How do you avoid tax authorities to adjust your local taxable base?
  • Simplifying price setting-process to match your order scenarios
  • Designing a Transfer Pricing Documentation File to document your related party transactions
  • How do you price the value of intangible property for your inter-company transactions
  • Implementing an ERP system to successfully change your flow of invoices
  • Designing a transparent transfer pricing vision to meet external demands in your business environment

Target audience and Job titles:

Presidents, Chief Executive Officers, Chief Financial Officers, Vice Presidents, Directors and Heads within:

  • Corporate Tax
  • Finance
  • Transfer Price Discipline
  • Tax & Treasury
  • Transfer Pricing
  • Corporate Accounting & Tax
  • Global Finance Processes & Applications
  • Taxation
  • Corporate Control
  • Tax Planning
  • Global Tax
  • Treasury
  • Group Taxation
  • Tax, Finance & Accounting
  • International Tax
  • Global Transfer Pricing Services
  • Accounting
  • Business Development
  • Tax Attorneys
  • Tax Accountants
  • Consultants

 

 
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