22 October 2024 Thursday, October 31 | BorderCrossings ... With EY transfer pricing and tax professionals (1 pm ET) This month's BorderCrossings will feature a grab bag of transfer pricing topics. First, we will discuss the transfer pricing impacts (or lack thereof) flowing from the recent Supreme Court decision in Loper Bright Enterprises v. Raimondo, 144 S. Ct. 2244 (2024). Second, we will provide an OECD update on Pillars One and Two, with an emphasis on transfer pricing implications. Finally, we will discuss the recently released Treasury/IRS Priority Guidance Plan. Registration: Register for this event. Ryan Kelly, Principal, Ernst & Young LLP and EY Americas International Tax and Transaction Services Tax Controversy Leader Mike McDonald, Managing Director, Transfer Pricing, International Tax and Transaction Services, Ernst & Young LLP CPE credit offered: 1.4. Recommended field of study: Taxes. Learning objectives: Assess the transfer pricing implications from the Loper Bright decision, identify the transfer pricing implications associated with Pillars One and Two of the OECD's BEPS 2.0 project, understand the transfer pricing implications from the 2024–2025 Treasury/IRS Priority Guidance Plan. EY webcast managed and produced by Ernst & Young LLP's Tax Technical Knowledge Services Group, Washington, DC: Lynn Fairfax | lynn.fairfax@ey.com and Andrea Ben-Yosef | andrea.ben-yosef@ey.com You can learn about and register for any EY Tax webcast here. Document ID: 2024-1937 |