Dbriefs Podcasts show

Dbriefs Podcasts

Summary: Dbriefs Podcasts is a regular video and audio news podcast series that focuses on the latest tax news and developments that could affect your business. This communication contains general information only, and none of Deloitte Touche Tohmatsu Limited (“DTTL”), its global network of member firms or their related entities (collectively, the “Deloitte organization”) is, by means of this communication, rendering professional advice or services. Before making any decision or taking any action that may affect your finances or your business, you should consult a qualified professional adviser.

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  • Artist: Deloitte Dbriefs Asia Pacific
  • Copyright: © 2021. For information, contact Deloitte Touche Tohmatsu Limited.

Podcasts:

 A new era for mobility: Driven by need for business resilience and cost containment | File Type: video/mp4 | Duration: Unknown

The pandemic has caused disruption to talent movement, but it has also redefined the roles of mobility management functions. While traditional assignments may have slowed down for the time being, global mobility teams have never been more strategic when businesses demand higher agility during the prolonged market uncertainties, work models are fundamentally changed, and cost containment becomes top of the agenda. Find out more on how the mobility function drives business strategies and cost savings.(Live presentation was aired on 17 November 2020)

 G20/OECD The Digitalized Economy: Blueprints on Pillar One and Pillar Two | File Type: video/mp4 | Duration: Unknown

The G20/OECD Inclusive Framework have published Blueprints on the allocation of taxing rights between countries (Pillar One) and to strengthen countries' ability to tax profits where income is locally subject to low effective tax rates (Pillar Two). The fundamental nature of the proposed reforms will, if agreed, have a broad and significant impact. All businesses, not just those that are highly digitalized, will need to understand how the proposals could affect them. What might this mean for your organization? Please join Bob Stack and our team to find out more about the latest international tax developments and steps that might be taken in response.(Live presentation was aired on 11 November 2020)

 G20/OECD The Digitalized Economy: Blueprints on Pillar One and Pillar Two | File Type: video/mp4 | Duration: Unknown

The G20/OECD Inclusive Framework have published Blueprints on the allocation of taxing rights between countries (Pillar One) and to strengthen countries' ability to tax profits where income is locally subject to low effective tax rates (Pillar Two). The fundamental nature of the proposed reforms will, if agreed, have a broad and significant impact. All businesses, not just those that are highly digitalized, will need to understand how the proposals could affect them. What might this mean for your organization? Please join Bob Stack and our team to find out more about the latest international tax developments and steps that might be taken in response.(Live presentation was aired on 11 November 2020)

 G20/OECD The Digitalized Economy: Blueprints on Pillar One and Pillar Two | File Type: video/mp4 | Duration: Unknown

The G20/OECD Inclusive Framework have published Blueprints on the allocation of taxing rights between countries (Pillar One) and to strengthen countries' ability to tax profits where income is locally subject to low effective tax rates (Pillar Two). The fundamental nature of the proposed reforms will, if agreed, have a broad and significant impact. All businesses, not just those that are highly digitalized, will need to understand how the proposals could affect them. What might this mean for your organization? Please join Bob Stack and our team to find out more about the latest international tax developments and steps that might be taken in response.(Live presentation was aired on 11 November 2020)

 G20/OECD The Digitalized Economy: Blueprints on Pillar One and Pillar Two | File Type: video/mp4 | Duration: Unknown

The G20/OECD Inclusive Framework have published Blueprints on the allocation of taxing rights between countries (Pillar One) and to strengthen countries' ability to tax profits where income is locally subject to low effective tax rates (Pillar Two). The fundamental nature of the proposed reforms will, if agreed, have a broad and significant impact. All businesses, not just those that are highly digitalized, will need to understand how the proposals could affect them. What might this mean for your organization? Please join Bob Stack and our team to find out more about the latest international tax developments and steps that might be taken in response.(Live presentation was aired on 11 November 2020)

 G20/OECD The Digitalized Economy: Blueprints on Pillar One and Pillar Two | File Type: video/mp4 | Duration: Unknown

The G20/OECD Inclusive Framework have published Blueprints on the allocation of taxing rights between countries (Pillar One) and to strengthen countries' ability to tax profits where income is locally subject to low effective tax rates (Pillar Two). The fundamental nature of the proposed reforms will, if agreed, have a broad and significant impact. All businesses, not just those that are highly digitalized, will need to understand how the proposals could affect them. What might this mean for your organization? Please join Bob Stack and our team to find out more about the latest international tax developments and steps that might be taken in response.(Live presentation was aired on 11 November 2020)

 M&A and COVID-19 strategy in India, Japan, and Korea: Charting new horizons in a world of asymmetric recovery | File Type: video/mp4 | Duration: Unknown

M&A activity is likely to be dominated through an offensive strategy or a defensive strategy with a view to maximizing value. Asia Pacific remains the hot bed of economic activity and the focus on the region from an M&A perspective is quite high. For buyers, the greater opportunity of companies likely to streamline and reposition their portfolios, through the sale of non-core businesses pursuant to the pandemic, is leading to an increase in potential investment opportunities. However, end-to-end M&A, which includes but is not limited to carve-out and acquisition/disposal of a business presents some unique challenges. Learn about practical issues in connection with M&A tax considerations for possible buyers and potential sellers in India, Japan, and Korea.(Live presentation was aired on 10 November 2020)

 M&A and COVID-19 strategy in India, Japan, and Korea: Charting new horizons in a world of asymmetric recovery | File Type: video/mp4 | Duration: Unknown

M&A activity is likely to be dominated through an offensive strategy or a defensive strategy with a view to maximizing value. Asia Pacific remains the hot bed of economic activity and the focus on the region from an M&A perspective is quite high. For buyers, the greater opportunity of companies likely to streamline and reposition their portfolios, through the sale of non-core businesses pursuant to the pandemic, is leading to an increase in potential investment opportunities. However, end-to-end M&A, which includes but is not limited to carve-out and acquisition/disposal of a business presents some unique challenges. Learn about practical issues in connection with M&A tax considerations for possible buyers and potential sellers in India, Japan, and Korea.(Live presentation was aired on 10 November 2020)

 M&A and COVID-19 strategy in India, Japan, and Korea: Charting new horizons in a world of asymmetric recovery | File Type: video/mp4 | Duration: Unknown

M&A activity is likely to be dominated through an offensive strategy or a defensive strategy with a view to maximizing value. Asia Pacific remains the hot bed of economic activity and the focus on the region from an M&A perspective is quite high. For buyers, the greater opportunity of companies likely to streamline and reposition their portfolios, through the sale of non-core businesses pursuant to the pandemic, is leading to an increase in potential investment opportunities. However, end-to-end M&A, which includes but is not limited to carve-out and acquisition/disposal of a business presents some unique challenges. Learn about practical issues in connection with M&A tax considerations for possible buyers and potential sellers in India, Japan, and Korea.(Live presentation was aired on 10 November 2020)

 M&A and COVID-19 strategy in India, Japan, and Korea: Charting new horizons in a world of asymmetric recovery | File Type: video/mp4 | Duration: Unknown

M&A activity is likely to be dominated through an offensive strategy or a defensive strategy with a view to maximizing value. Asia Pacific remains the hot bed of economic activity and the focus on the region from an M&A perspective is quite high. For buyers, the greater opportunity of companies likely to streamline and reposition their portfolios, through the sale of non-core businesses pursuant to the pandemic, is leading to an increase in potential investment opportunities. However, end-to-end M&A, which includes but is not limited to carve-out and acquisition/disposal of a business presents some unique challenges. Learn about practical issues in connection with M&A tax considerations for possible buyers and potential sellers in India, Japan, and Korea.(Live presentation was aired on 10 November 2020)

 M&A and COVID-19 strategy in India, Japan, and Korea: Charting new horizons in a world of asymmetric recovery | File Type: video/mp4 | Duration: Unknown

M&A activity is likely to be dominated through an offensive strategy or a defensive strategy with a view to maximizing value. Asia Pacific remains the hot bed of economic activity and the focus on the region from an M&A perspective is quite high. For buyers, the greater opportunity of companies likely to streamline and reposition their portfolios, through the sale of non-core businesses pursuant to the pandemic, is leading to an increase in potential investment opportunities. However, end-to-end M&A, which includes but is not limited to carve-out and acquisition/disposal of a business presents some unique challenges. Learn about practical issues in connection with M&A tax considerations for possible buyers and potential sellers in India, Japan, and Korea.(Live presentation was aired on 10 November 2020)

 India's Equalization Levy: What comes next | File Type: video/mp4 | Duration: Unknown

Internationally, the widespread growth in digitization of business has created challenges in allocation of taxes between market jurisdictions and headquartered jurisdiction. While the OECD has been working on arriving at a consensus on taxation of the digital economy, based on the recommendations in the BEPS action plans, many countries, have either proposed or implemented a unilateral Digital Services Tax. Further, the United Nations has introduced a proposal in the form of Article 12B (Income from Automated Digital Services) possibly in a bid to give a simple and easy to implement solution. India was the first country to introduce a digital tax called the "Equalization Levy" in 2016 on online advertisement services purchased from non-resident companies and from 1 April 2020, the scope of the Equalization Levy has been expanded to include levy on all online sale of goods or services into India by non-resident e-commerce operators. Stay updated on the latest developments on digital services taxes and the Indian Equalization Levy and its impact on your organization.(Live presentation was aired on 3 November 2020)

 India's Equalization Levy: What comes next | File Type: video/mp4 | Duration: Unknown

Internationally, the widespread growth in digitization of business has created challenges in allocation of taxes between market jurisdictions and headquartered jurisdiction. While the OECD has been working on arriving at a consensus on taxation of the digital economy, based on the recommendations in the BEPS action plans, many countries, have either proposed or implemented a unilateral Digital Services Tax. Further, the United Nations has introduced a proposal in the form of Article 12B (Income from Automated Digital Services) possibly in a bid to give a simple and easy to implement solution. India was the first country to introduce a digital tax called the "Equalization Levy" in 2016 on online advertisement services purchased from non-resident companies and from 1 April 2020, the scope of the Equalization Levy has been expanded to include levy on all online sale of goods or services into India by non-resident e-commerce operators. Stay updated on the latest developments on digital services taxes and the Indian Equalization Levy and its impact on your organization.(Live presentation was aired on 3 November 2020)

 India's Equalization Levy: What comes next | File Type: video/mp4 | Duration: Unknown

Internationally, the widespread growth in digitization of business has created challenges in allocation of taxes between market jurisdictions and headquartered jurisdiction. While the OECD has been working on arriving at a consensus on taxation of the digital economy, based on the recommendations in the BEPS action plans, many countries, have either proposed or implemented a unilateral Digital Services Tax. Further, the United Nations has introduced a proposal in the form of Article 12B (Income from Automated Digital Services) possibly in a bid to give a simple and easy to implement solution. India was the first country to introduce a digital tax called the "Equalization Levy" in 2016 on online advertisement services purchased from non-resident companies and from 1 April 2020, the scope of the Equalization Levy has been expanded to include levy on all online sale of goods or services into India by non-resident e-commerce operators. Stay updated on the latest developments on digital services taxes and the Indian Equalization Levy and its impact on your organization.(Live presentation was aired on 3 November 2020)

 India's Equalization Levy: What comes next | File Type: video/mp4 | Duration: Unknown

Internationally, the widespread growth in digitization of business has created challenges in allocation of taxes between market jurisdictions and headquartered jurisdiction. While the OECD has been working on arriving at a consensus on taxation of the digital economy, based on the recommendations in the BEPS action plans, many countries, have either proposed or implemented a unilateral Digital Services Tax. Further, the United Nations has introduced a proposal in the form of Article 12B (Income from Automated Digital Services) possibly in a bid to give a simple and easy to implement solution. India was the first country to introduce a digital tax called the "Equalization Levy" in 2016 on online advertisement services purchased from non-resident companies and from 1 April 2020, the scope of the Equalization Levy has been expanded to include levy on all online sale of goods or services into India by non-resident e-commerce operators. Stay updated on the latest developments on digital services taxes and the Indian Equalization Levy and its impact on your organization.(Live presentation was aired on 3 November 2020)

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