Is your knowledge of beneficial ownership, treaty risk and the MLI fully up to date?

Read more articles

Pillar Two has changed again: why the UK side-by-side Package is not the end of Global Minimum Tax

July 20, 2026

When a family emergency becomes a Cross-Border tax problem: A UK, Italy and France case study

July 13, 2026

The 12-month CFC exemption that can disappear almost two years later

July 13, 2026

“I put my spare room through the company.” Freddie thought it was clever — until someone asked the obvious question

July 8, 2026

The House was meant for the children. then the tax problem arrived.

July 4, 2026

The £40,000 Mistake: why your Limited Company is NOT your Personal Bank account

July 4, 2026

M&A and CFC: The tax Risk that often appears only after completion

July 2, 2026

Employment Related Securities: Why the 6 July 2026 Deadline Matters for Founders, Start-ups and Private Companies

July 1, 2026

Tax Warranties in the Share Purchase Agreement

June 25, 2026

After Pillar Two and ICTS: HMRC’s 23 June 2026 GIR update confirms that tax governance is now an execution risk

June 24, 2026

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:

https://lnkd.in/dehc3fC3

Looking forward to delivering what should be a highly practical and useful session for Mauritius-based professionals and not working with cross-border structures.

Vedi meno

Share this post:

Facebook
Twitter
LinkedIn
Scroll to Top