2015 OECD International Tax Conference: PowerPoint Presentations

I. Welcome

II. BEPS Current State of Play

III. U.S. Tax Reform and BEPS

IV. Transfer Pricing

V. Interest Deductibility and CFC Rules

VI. Permanent Establishments and Profit Attribution to Permanent Establishments

VII. Treaty Abuse

VIII. Dispute Resolution

IX. BEPS: Post-2015

Conference Website

Staff Contact:   Rick Minor

VP and International Tax Counsel
Tel: 202.682.7376

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