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Preventing the artificial avoidance of Permanent Establishment (“PE”) status is one of the key topics addressed by the OECD’s Base Erosion and Profit Shifting ("BEPS") package.

In this webcast series PwC specialists address the practical implications that a reduction in the PE threshold will have for multinational corporations and will provide an insight, through examples, on the challenges and practical actions that can be taken to manage PE in the post-BEPS world.

The webcast series provides a mix of technical updates and analysis, practical experience and local country expertise around topics such as profit attribution to a PE, direct tax consequences of a PE and the broader impact that the new rules will have on an increasingly global and mobile workforce. Recordings of each of the webcasts in the series are available online:

Episode One: The Changing PE threshold - register here for the online recording.

Episode Two: Attribution of profit to PEs - register here for the online recording.