Wednesday, October 27, 2021 from 10:00 – 11:00 am EST

China’s advance pricing arrangement (“APA”) has been a valid tax planning tool for multinational companies. In fact, the China’s State Taxation Administration has developed a productive working relationship with the IRS’s Advance Pricing and Mutual Agreement (“APMA”) program.

This webinar introduces how companies with operations in both the U.S. and China can incorporate APAs into its tax planning to reduce transfer pricing risks in China.


  • David Blair, Partner, Washington, D.C.
  • Jackson Pai, Counsel, Los Angeles
  • Irina Pisareva, Partner, New York
  • Ye Zhou, Director, Shanghai

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