Type Speaker CPD Hours Level
5 IntermediateInformation
Accreditation Information
SRA Competency B


Until April 2019 small and medium sized companies were exempted from considering either transfer pricing issues or the diverted profits tax as they were covered by exemptions.

The arrival of the new rules on fragmented profits from April 2019 mean that all sizes of companies need to consider whether there are potential tax liabilities on international transactions.

The latest figures on the tax gap between what HMRC expects to collect and does collect is in the order of £35 billion. About nearly half of this is accounted for by small and medium sized enterprises and HMRC have them within their sights.

It is anticipated that investigations will commence in earnest in the latter part of 2020 and clients and advisors need to understand now the additional work that is required with respect to current accounting periods.

What You Will Learn

This 5 hour live and interactive session (split into two x 2.5 hour sessions) will cover the following:

  • Transfer pricing rules
  • Diverted profits tax rules
  • The impact of the new profit fragmentation rules on SMEs
  • Potential consequences of falling foul of the new rules
  • Actions that companies need to take to avoid a costly HMRC investigation
  • A review of HMRC guidance in this area
  • Scenario planning
  • Practical case studies

Recording of live sessions: Soon after the Learn Live session has taken place you will be able to go back and access the recording - should you wish to revisit the material discussed.

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Learn Live | 27.10.2020

Online | 10:00am - 4:00pm

Transfer Pricing & the Tax Gap - Be Prepared - Live with Jeremy Mindell

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27 2020
28 2020
Session 1 
10:00am - 12:30pm

Session 2 
1:30pm - 4:00pm

Prices (ex VAT)
Plan Information
Ticket Information
Individual licence
Group bookings
Discounts are available for multiple places. If you have 5 or more people interested in participating in this virtual learning session please email us at information@mblseminars.com for more information.

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