I am pleased to be leading a practical 3-hour online CPD session for Pronumeris Training Centre (Mauritiius) on:
International Tax Planning, Beneficial Ownership and Treaty Risk
A practical guide for Mauritius-based professionals and not.
The post-BEPS environment has changed the way cross-border structures are reviewed. Treaty access can no longer be assessed only by reference to legal form or a literal reading of the treaty. Advisers now need to consider commercial rationale, beneficial ownership, substance, governance, transfer pricing, exchange of information, anti-abuse rules and documentary evidence.
This session is designed for tax advisers, accountants, compliance professionals, trustees, lawyers and financial sector professionals in Mauritius who want a practical and adviser-focused update.
We will cover:
• the modern international tax planning environment after BEPS
• treaty entitlement and beneficial ownership risk
• the Principal Purpose Test and the MLI
• substance, governance and transfer pricing considerations
• practical Mauritius-focused case studies
• an adviser toolkit to identify and manage treaty risk before it becomes a problem
Date: 4 August 2026
Format: Online
Registration link:
Looking forward to delivering what should be a highly practical and useful session for Mauritius-based professionals and not working with cross-border structures.
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