{"id":15089,"date":"2024-03-05T14:07:19","date_gmt":"2024-03-05T14:07:19","guid":{"rendered":"https:\/\/iqeq.com\/?post_type=event&p=15089"},"modified":"2024-03-06T08:09:57","modified_gmt":"2024-03-06T08:09:57","slug":"transfer-pricing-webinar-are-your-loans-at-arms-length","status":"publish","type":"event","link":"https:\/\/iqeq.com\/events\/transfer-pricing-webinar-are-your-loans-at-arms-length\/","title":{"rendered":"Transfer Pricing Webinar: Are your loans at arm\u2019s length?"},"content":{"rendered":"
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As tax authorities increasingly scrutinise related party loans, it is crucial to ensure that these transactions are conducted at arm’s length. <\/span>We invite you to join the interactive conversation between Feroz and Gaspar on Wednesday 20 March 2024 at 4.30pm MU Time, where we will explore the importance of transfer pricing on intra-group loans in today’s globalised economy.<\/span><\/p>\n

The OECD’s transfer pricing guidance on financial transactions provides specific guidance on the transfer pricing aspects which is a highly disputed area between taxpayers and tax authorities. <\/span>Given the ever changing geopolitical and macroeconomic trends, the key question is whether your loans are still at arm’s length?<\/span><\/p>\n

Join us for this engaging session in collaboration with Taxand Cyprus, where we will have a lively conversation about the clarifications brought by OECD’s report and discover the latest practical insights on transfer pricing for intra-group loans.<\/span><\/p>\n

Details of the webinar<\/strong><\/p>\n