The OECD is to hold a webcast on 2 April 2014 to explain the latest developments in carrying out the action plan on base erosion and profit shifting (BEPS). Staff from the Centre for Tax Policy and Administration will consider the numerous questions raised by the BEPS action plan such as transfer pricing documentation and country by country reporting. Other issues to be mentioned are the effort to prevent tax treaty abuse, tax challenges raised by the digital economy and measures to combat hybrid mismatch arrangements.
Related Posts
OECD: Armenia, Bahrain, British Virgin Islands sign addendum to CRS MCAA
According to an OECD update, published on 26 August 2026, three new jurisdictions have joined the Common Reporting
Read More
OECD publishes public comments on proposed transfer pricing guidance for intragroup services
The OECD published responses to its 1 June 2026 invitation for comments on a public consultation document proposing
Read More
OECD: TIWB expands support for global minimum tax implementation
Tax Inspectors Without Borders (TIWB), a joint initiative of the Organisation for Economic Co-operation and Development
Read More
OECD updates signatories list for MCAA-CbC
The Organisation for Economic Cooperation and Development (OECD) released an updated list of signatories, along with
Read More
OECD releases peer review reports on tax information exchange, transparency for the Cook Islands, Namibia and Tanzania
The OECD’s Global Forum on Transparency and Exchange of Information for Tax Purposes (Global Forum) has published
Read More
OECD publishes new BEPS Action 5 peer review findings
The OECD has released the latest peer review results on preferential tax regimes under BEPS Action 5, incorporating new
Read More