Post-BEPS Transfer Pricing in China: Latest issues and trends
This seminar will introduce the latest transfer pricing developments and trends in China in the wake of BEPS and the recent (draft) China Chapter of the new version of the United Nations Transfer Pricing Manual for developing countries as well as the recent Bulletin 6, third and final bulletin in a series through which the State Administration of Taxation (SAT) has comprehensively revised the transfer pricing regime under the former Circular 2. Bulletin No. 6 key provisions and their implications for multinational companies (MNCs) will be analysed.