PwC BEPS webcast: A focus on hybrid mismatch arrangements (27 March)

Written by Axel Smits 24 March 2014


Date: 27 March 2014 Time: 12:00 pm to 1:00 pm ET

Duration: 60 minutes (including Q&A) Click here to register

With the 19 March 2014 release of the discussion draft on Action 2 (Neutralise the effects of hybrid mismatch arrangements) of the Base Erosion and Profit Shifting (BEPS) Action Plan, we continue our series of webcasts exploring the OECD’s Coordinated Action Plan on BEPS.

Please join our webcast on 27 March where PwC will look at the newly released discussion draft on hybrid mismatch arrangements and explore what this will mean for international business.

This one hour webcast will provide:

  • An overview of the OECD discussion draft on hybrid mismatch arrangements 
  • A summary of the proposed recommendations to domestic tax laws and the OECD model treaty
  • An outline of the various classes of commonly adopted arrangements that are seen as giving rise to tax outcomes that the OECD considers undesirable Ways to coordinate the recommendations with those of other BEPS working groups, particularly Treaty Abuse, Debt Leverage and CFCs

Speakers: Adam Katz, Partner, PwC US, Moderator Calum Dewar,Partner, PwC US, Wybe Mebius, Partner, PwC Netherlands

To register for this event, please visit:

http://w.on24.com/r.htm?e=769626&s=1&k=96A15BB8F56A9FB45E40D7924A30CF93

Once you register, you will receive a confirmation email with a link and access instructions for joining the webcast.

Who should attend? Companies with a global footprint who are concerned about the impact of hybrid mismatch arrangements on their business.

Contact us
Chairman & Territory Senior Partner
+32 3 259 3120