The OECD BEPS Action Plan Update and Outlook

  • Share

Audio Webcast | Duration: 60 minutes
18 February 2014 at 08:30 p.m. to 09:30 p.m. (IST)


With 2014 underway, the OECD is planning significant activity with respect to its BEPS Action Plan over the coming weeks. The OECD and G20 project is focused on a review of current international tax regimes and coordinated consideration of possible approaches for addressing concerns about base erosion and profit shifting (BEPS). It began with the OECD's first report in February 2013 and continued with the July 2013 issuance of the OECD BEPS Action Plan identifying 15 focus areas for immediate attention.

As we look to the activity expected in 2014 with respect to BEPS, we invite you to join our panel of senior international tax professionals from Germany, the Netherlands, the UK and the US to:

  • examine progress of the OECD in relation to the BEPS project and its implications for multinational businesses
  • look at BEPS-related developments around the globe

Areas of focus will include the latest activity with respect to the country by country reporting template, hybrid mismatch arrangements, treaty abuse, and the digital economy.

Panelists/ Presenters:

Barbara Angus

Ernst & Young LLP (US) – Leader, Strategic International Tax Policy Services

Christian Ehlermann

Ernst & Young GmbH Wpg - Partner, International Tax Services, Germany

Matthew Mealey

Ernst & Young LLP (UK) - Leader, International Tax Services, UK and Ireland

Ronald van den Brekel

Ernst & Young Belastingadviseurs LLP - Partner, Transfer Pricing, Netherlands

Moderator :

Alex Postma

EY Global Services Ltd. – Leader, Global International Tax Services