Transfer Pricing - An Introduction to the Rules and Documentation Obligation
- Λογιστικά/ Έλεγχος/ Φορολογικά
ΠΕΡΙΓΡΑΦΗ
Transfer pricing is a challenging area in the field of international taxation with which multinational businesses performing intragroup transaction must comply. Cyprus introduced its Transfer Pricing legislation in 2022 therefore it is essential for Cyprus Companies that have related party transactions that fall under this legislation to maintain a robust transfer pricing documentation file to support its intragroup pricing against challenges that will be imposed by the tax authorities.
Being aware of the basic transfer pricing principles and the situations in which an obligation for the preparation of a transfer pricing study arises, will ensure effectiveness in informing the clients of their obligations and providing the at most assistance in fulfilling such obligations.
ΣΚΟΠΟΣ ΣΕΜΙΝΑΡΙΟΥ
After the completion of the webinar, participants are expected to:
- Describe the reasons that created the necessity for the preparation of a transfer pricing study
- Identify which parties are considered related as per the definition included in article 33 of Income Tax Law.
- Describe the concept of arm’s length principle.
- Analyse each comparability factor.
- List and describe the methods that can be used to prepare a transfer pricing study, and choose the most appropriate method for the preparation of a transfer pricing study based on a case-by-case basis.
- Identify whether a transaction should be supported by a transfer pricing study based on the Law and the new TP regulations, organize the steps required to analyse, summarize, and present data, respond to audits, and defend results of the transfer pricing study.
- Participate in fruitful discussions regarding the proper preparation of a transfer pricing study.
ΣΕ ΠΟΙΟΥΣ ΑΠΕΥΘΥΝΕΤΑΙ
This program is specifically designed for professionals who would like to become familiar with the essential concepts and principles of Transfer pricing in order to gain a better understanding of the field and correctly interpret the transactions they may potentially face on a daily basis in their working environment. More specifically:
- Lawyers;
- Financial Controllers;
- Finance Managers;
- Auditors;
- Accountants;
- Professionals with a particular interest in Transfer pricing;
- Tax professionals. This seminar contributes to Continuing Professional Development for 4 CPD Units.
ΠΕΡΙΣΣΟΤΕΡΕΣ ΠΛΗΡΟΦΟΡΙΕΣ
MODULES
Introduction
PART A:
- Explanation of what is transfer pricing and why is important
- Analysis of the definition of related parties under article 33 of income tax law
- Analysis of the arm’s length principle
- Examples
PART B:
- Comparability factors
- Explanation of each method
- Practical examples
PART C:
- Back – to – back Circular and its termination
- The new transfer pricing legislation, changes and introduction of APAs.
- New obligations and penalties.
- Practical examples
Co-Trainer: Theodora Charalambous
Senior Advisor, Tax Department
Theodora is a qualified Lawyer and a member of the Cyprus Bar Association.
Theodora has commenced her postgraduate studies in Tax Law, with a specialization in International Tax Law and Transfer Pricing, which has been the area of her expertise.
Πληροφορίες Εκπαιδευτή
Αναλυτικό Κόστος Σεμιναρίου
Για Δικαιούχους ΑνΑΔ
- € 0.00
- € 0.00
- € 0.00
- € 0.00
- € 0.00
Για μη-Δικαιούχους ΑνΑΔ
- € 150.00
- € 0.00
- € 28.50
- € 150.00
- € 178.50
ΠΡΟΓΡΑΜΜΑ ΣΕΜΙΝΑΡΙΟΥ
Τετάρτη - 24 Απρ 2024
Ώρα
09:00 - 12:00
ΕΚΠΑΙΔΕΥΤΗΣ:
Μάριος ΠαλέσηςΤοποθεσία:
OnLine Virtual Classroom