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Event Details

Multinational companies has been constantly looking for optimal business transactional structures to streamline their operations and to optimize their tax efficiency. It has been common to see MNCs' use of regional principal trading company, group intangibles owner and group financing and treasury center. Under the post-BEPS (base erosion and profit shifting) environment, would these commonly seen structures still be safe for tax purposes after the OECD introduced BEPS action plans and Asia Pacific tax authorities have been modifying local rules to respond to BEPS actions? From this luncheon speech, our speaker would like to share with our members what MNCs should do to mitigate their tax risks while looking after tax efficient business transactions. Details of the topics to be covered in the speech are as follows:

• Commonly seen business models in this Region
• BEPS actions which may impact on existing business models
• Discussion about value chain analysis
• Next steps for MNCs

Speakers

  • Eunice Kuo (Partner of Deloitte China/National Cross-Border Tax Leader/Tax Managing Partner, Eastern Region)

    Eunice Kuo

    Partner of Deloitte China/National Cross-Border Tax Leader/Tax Managing Partner, Eastern Region

    Read Bio

Documents

Tickets

Member

AmCham Taipei member representatives only

TW$ 1,400
Guests
TW$ 2,000

Ticket Refund Policy

To cancel without penalty, written cancellation must be received by AmCham 24 hours before the event, or else full Price of the event will be charged. Expense for any guests invited by an AmCham member will be billed to the member’s account directly.
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