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Cross-border business remains one of the most complex and high-stakes advisory areas. As the One Big Beautiful Bill Act introduces changes affecting corporate tax structures and international flows, transfer pricing is more strategic — and more scrutinized — than ever. This session will examine how CPAs can align technical transfer pricing work with high-value advisory conversations.
Learning Objectives:
By the end of this webinar, attendees will be able to:
-Evaluate how OBBB provisions (e.g., tax rate adjustments, interest limitations, base erosion effects) impact transfer pricing models
-Identify recent BEPS and IRS audit trends influencing compliance and risk
-Apply strategies for aligning transfer pricing policy with economic substance and supply chain changes
-Demonstrate how to communicate transfer pricing rationale effectively to boards and non-tax executives
-Review case studies where transfer pricing materially influenced global capital deployment
-Evaluate how recent court findings in the transfer pricing area are shaping compliance expectations and enforcement
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