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INTERNATIONAL TAX - TRANSFER PRICING

The impact of OECD’s BEPS Project on your company

The BEPS (Base Erosion and profit Shifting) Project was jointly initiated in 2013 by the G20 and by the OECD (Organisation for Economic Co-operation and Development). This project consists of 15 action plans. The outcome will not only impact multinationals but also SMEs that expand their activities abroad, as well as companies (even non-international ones) that are active in innovation.

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In this white paper

In this white paper we go deeper into the first Belgian repercussions of the OECD’s BEPS project which are the Transfer Pricing Documentation Requirements and the changing of the Patent Income Deduction into the Innovation Income Deduction.

Authors

In case you require more information about the content of this white paper, you can contact our international tax experts:

Philippe Dedobbeleer began his career in 1992 in the Federal Public Service Finance, where he held various positions. He joined BDO in early 2016 as a Tax Partner, where he joined the Transfer Pricing team.

Tine is partner in and the leader of the transfer pricing practice of BDO Belgium. She has more than 15 years of experience in Transfer Pricing and tax-aligned supply chain issues.

Are you familiar with the OECD’s BEPS Project and the impact it has on your company?

Do you want to know more about the Transfer Pricing Documentation Requirements or the Innovation Income Deduction? Request the white paper here.

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