In September 2020, we spoke to international tax partner Caoilfhionn van der Walt, from Regan van Rooy, about Transfer Pricing, or the ‘arms-length principle’ - a means of ensuring fairness in cross-border business transactions. In this episode, our co-founder and CEO Brendon Jones follows up on the earlier podcast as he speaks to Cabrini McCarrick, Head of Transfer Pricing at Regan van Rooy, on why Transfer Pricing, Base Erosion and Profit Shifting (BEPS) continue to be top of mind for Africa-based businesses, with the OECD having released the revised guidelines for Transfer Pricing on the 20th of January 2022, as an update to those published back in 2017.
In September 2020, we spoke to international tax partner Caoilfhionn van der Walt, from Regan van Rooy, about Transfer Pricing, or the ‘arms-length principle’ - a means of ensuring fairness in cross-border business transactions. In this episode, our co-founder and CEO Brendon Jones follows up on the earlier podcast as he speaks to Cabrini McCarrick, Head of Transfer Pricing at Regan van Rooy, on why Transfer Pricing, Base Erosion and Profit Shifting (BEPS) continue to be top of mind for Africa-based businesses, with the OECD having released the revised guidelines for Transfer Pricing on the 20th of January 2022, as an update to those published back in 2017.