Taking the approach of the firms this book gives a new perspective on how the BEPS project can be anticipated and usedd to ensure a future for international tax planning for MNE's. Taking in consideration the new challenges that MNE's will have to face like the delineation of a relevant transfer pricing policy, how to do the modelling for permanent establishment and also how to continue to use the intra group debt to erode the tax basis of intra group companies located in high tax jurisdiction.
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