(September 25, 2015)

That the OECD will release its final recommendations for a co-ordinated international approach to combat tax avoidance by multinational enterprises under the OECD/G20 Base Erosion and Profit Shifting (BEPS) Project on Monday October 5, 2015 is no news anymore. However, on September 25, 2015 the OECD announced that it will hold two webcasts on October 5, 2015.

 

During the first webcast (news conference) Pascal Saint-Amans, Director of the OECD Centre for Tax Policy and Administration, will present the final results of the BEPS Project. The webcast news conference is supposed to start at 14.00 CET.

 

Subsequently a technical briefing via webcast on the BEPS deliverables as well as the next steps will follow at 16.00 (CET). The OECD has announced that it is possible to submit questions in advance by e-Mail and that the panellists will answer as many of those questions as time permits. You can submit your questions to This email address is being protected from spambots. You need JavaScript enabled to view it.

 

According to the announcement published by the OECD in this respect one has to register in order to be able to follow the webcasts.

 

Click here to be forwarded to the website where one can register for the webcasts, which will open in a new window.

 

If you are interested in finding out what else is on the calendar for the week from October 5 to October 11, 2015 then click here to be forwarded to International Tax Plaza’s Calendar for week 41.

 

If you are interested in finding out what other events are planned for the near future, then check the other calendars in our section calendars. We are convinced you will find them a valuable tool.

 

Interested in quickly finding BEPS documents? Then check out our sub-section BEPS LIBRARY in the section OECD & Model Conventions. Here you will find links to Discussion Drafts, Comments received and other BEPS related documents organized by the Action of the BEPS Action Plan they relate to.

 

 

Copyright – Internationaltaxplaza.info

 

 

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