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The Future of Tax Planning: Transparency and Substance for All? (Hong Kong)
There has been unprecedented pressure on both tax neutral countries and the users of these tax efficient jurisdictions, to pay what is deemed a ‘fair’ amount of tax. This pressure has culminated in multilateral initiatives such as the base erosion profit shifting initiative and the common reporting standard, both aimed at changing the landscape of international tax planning forever. 

So what is the future of tax planning in this, the new normal? How will international tax planning change in the face of these initiatives? Come and discuss the future of tax planning with us.
    Anil has 15 years of experience in tax compliance and advisory engagements involving corporate income tax, personal tax, stamp duty, withholding tax and real property gains tax, for large Malaysian corporations, multinationals and individuals. 

    For the last 9 years he has been a member of EY Malaysia’s International Tax Services team and now leads the team. As part of his work in this team, he has been involved in numerous cross border advisory engagements (both inbound and outbound), particularly in relation to advising on the tax and regulatory issues facing companies investing in Malaysia and abroad, in areas such as the identification of appropriate holding structures, regulatory approvals, tax incentives, structuring of operations in a tax efficient manner, withholding tax mitigation and exit strategies. He has also advised on the tax implications of a number of restructuring exercises and divestments. During the course of his work, working with EY’s Global tax network, Anil has assisted clients from a tax perspective in respect of establishing operations and undertaking business in various jurisdictions, including the US, UK, Brazil, Austria, Australia, Thailand, China, Indonesia, Singapore, Mongolia and the Middle East.   

    Anil has worked on tax due diligence and tax structuring exercises for proposed acquisitions, advising on issues such as tax risks, holding structures and funding structures.

    Anil has spoken at EY’s tax conferences / seminars and client events in Malaysia and abroad. He has also spoken at various industry events and regularly conducts training sessions for clients and colleagues.
    Goh Ka Im is a Partner and Head of Tax and Revenue Practice Group at Messrs Shearn Delamore & Co. She joined the firm in 1988 and became a partner in 1997. She is currently a member of the Inter-Pacific Bar Association, where she was previously the Chairperson of the Tax Committee; the International Bar Association; the International Fiscal Association; and the International Tax Planning Association (ITPA), where she is also its Malaysian Jurisdiction Editor (Labuan).

    Ms Goh’s main practice areas include all aspects of tax and revenue law, such as income tax, corporate tax, real property gains tax, customs duties, sales tax, service tax, double taxation treaties, Labuan business activity tax, Labuan entities, Labuan trusts and foundations, stamp duty, tax incentives for investments, personal trusts, charitable trusts and tax litigation.

    She also has extensive experience in advising on tax and revenue matters and appears regularly in court on such matters. Due to her vast experience in tax and revenue law, she has been invited to speak at numerous local and international revenue law conferences and seminars, and has actively written and contributed a number of articles to the ITPA and other publications.

    Ms Goh graduated with an LLB (Hons) degree from the University of Bristol, UK in 1986. She was called to the Bar of England and Wales in 1987 and was admitted as an Advocate and Solicitor of the High Court of Malaya in 1988.
Date :
26-Feb-2016 (Fri)

Time :
9:00 AM - 12:00 PM 

Conrad Hotel
One Pacific Place
88 Queensway, Admiralty
Hong Kong
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