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U.S. Transfer Pricing and Global BEPS
Tax
CPE Self-study

U.S. Transfer Pricing and Global BEPS

Exploring the tax implications of cross-border transfers between related parties.

$75 - $115
Do you have an AICPA or CIMA membership? Log in to apply your member discount.

Format

Online

NASBA Field of Study

Taxes

Level

Basic

CPE Credits

3.5

Author(s)

Cory Perry, Matt Piper, Steven C. Wrappe

Availability

1 year

Product Number

ITCH25SSO

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Product Details

Transfer Pricing for Global Companies

Companies with global operations engage in transfer pricing to move goods, intellectual property, services, and loans across borders to related entities. This course provides an overview of U.S. transfer pricing and global base erosion and profit shifting (BEPS) rules.

This course delves into:

  • The arm’s length standard under Section 482 regulations
  • Acceptable transfer pricing methods
  • Documentation requirements
  • Penalties
  • BEPS initiatives and their relationship to U.S. and global transfer pricing

Part of a comprehensive international tax education

This self-study online course is part of the U.S. International Tax Certificate, a comprehensive learning program geared to help global finance and accounting professionals navigate the highly complex world of international taxation.

This course can be purchased individually or as part of the U.S. International Tax: Advanced Issues bundle. You must purchase the bundle to earn the digital badge.

Who Will Benefit

Public and corporate tax professionals interested in building a solid foundation in U.S. international taxation.

Key Topics

  • Section 482
  • Transfer pricing methods
  • Levels of documentation
  • Base erosion and profit shifting (BEPS)
  • Transfer pricing penalties
  • BEPS relationship to U.S. and global transfer pricing
  • Transfer pricing adjustments

Learning Outcomes

  • Identify the accepted transfer pricing methods and recognize when each is appropriate to use.
  • Recall how transfer pricing documentation can reduce penalties.
  • Recognize the base erosion and profit shifting (BEPS) initiatives and their relationship to U.S. and global transfer pricing.
  • Recognize the relationship between transfer pricing and certain areas of international tax.
  • Identify fundamental transfer pricing adjustments and their impact on related international tax topics.
Credit Info
CPE Credits
Online
3.5
NASBA Field of Study
Taxes
Level
Basic
Prerequisites
None
Access
Online
This is a digital product. With full paid access the content will be available to you for 1 year after purchase date.
For more information, please refer to CPE requirements and NASBA sponsorship information
Pricing
Do you have an AICPA or CIMA membership? Log in to apply your member discount.
Nonmembers
Online
$115.00
AICPA Members
Online
$95.00
CIMA Members
Online
$95.00
Tax Section Members
Online
$75.00

Group ordering for your team

2 to 5 registrants

Save time with our group order form. We’ll send a consolidated invoice to keep your learning expenses organized.

Start order

6+ registrants

We can help with group discounts. Email client.support@aicpa-cima.com
US customers call 1-800-634-6780 (option 1)

Contact us
Author(s)
Cory Perry
CPA
Cory Perry, CPA, is a Principal of International Tax at the Washington National Tax Office of Grant Thornton. He consults on various international and transactional tax matters, including cross-border restructuring and financing, subpart F, global intangible low-taxed income, foreign tax credit planning, Pillar 2 and global tax strategy. Cory’s work focuses on international quantitative consulting, as well as consulting services for mergers and acquisitions. He has significant experience performing earnings and profits studies and foreign tax credit studies for companies ranging up to large public and private clients, including Fortune 100 companies. Cory has written, spoken and lectured on a wide variety of topics including tax reform, subpart F, global intangible low-taxed income, section 367, and financial statement implications for U.S. multinationals. In addition to his work at Grant Thornton, Cory is chair of the AICPA’s International Tax Resource Panel and its OECD Task Force, where he helps guide the profession’s engagement with emerging international standards.
Matt Piper
Steven C. Wrappe
Accessibility

The Association is dedicated to removing barriers to the accountancy profession and ensuring that all accountancy professionals and other members of the public with an interest in the profession or joining the profession, including those with disabilities, have access to the profession and the Association's website, educational materials, products, and services.The Association is committed to making professional learning accessible to all product users. This commitment is maintained in accordance with applicable law. For additional information, please refer to the Association's Website Accessibility Policy. As part of this commitment, this product is closed-captioned. For additional accommodation requests please contact adaaccessibility@aicpa-cima.com and indicate the product that you are interested in (title, etc.) and the requested accommodation(s): Audio/Visual/Other. A member of our team will be in contact with you promptly to make sure we meet your needs appropriately.

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