Advanced Certificate in Tax Research: A Global Perspective
-- ViewingNowThe Advanced Certificate in Tax Research: A Global Perspective is a comprehensive course designed for tax professionals seeking to enhance their expertise in international taxation. This certificate program emphasizes the importance of global tax perspective, research skills, and up-to-date tax knowledge required in today's complex and dynamic business environment.
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โข Advanced International Taxation: This unit will cover the complexities of international tax laws, regulations, and treaties, focusing on how they impact multinational corporations and high-net-worth individuals.
โข Global Transfer Pricing: This unit will explore the principles, practices, and controversies surrounding transfer pricing, including OECD guidelines, arm's length standards, and related documentation.
โข Taxation of Cross-Border Mergers, Acquisitions, and Reorganizations: This unit will delve into the tax implications of cross-border mergers, acquisitions, and reorganizations, including the use of tax treaties and double taxation relief.
โข Global Tax Planning and Compliance: This unit will focus on advanced strategies for global tax planning and compliance, including the use of foreign tax credits, controlled foreign corporations, and passive foreign investment companies.
โข Taxation of Intellectual Property and Digital Economy: This unit will cover the tax challenges posed by the digital economy, including the taxation of intellectual property, e-commerce, and digital services.
โข International Estate and Gift Taxation: This unit will examine the tax implications of international estate and gift planning, including the use of trusts, foundations, and other structures.
โข Global Tax Dispute Resolution: This unit will explore the mechanisms for resolving international tax disputes, including mutual agreement procedures, arbitration, and litigation.
โข Advanced Topics in International Taxation: This unit will cover advanced topics in international taxation, including tax treaty interpretation, hybrid entities, and anti-avoidance rules.
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