{"id":5427,"date":"2022-06-22T13:03:14","date_gmt":"2022-06-22T13:03:14","guid":{"rendered":"https:\/\/itrnetwork.org\/?page_id=5427"},"modified":"2022-07-11T12:20:12","modified_gmt":"2022-07-11T12:20:12","slug":"prof-dr-vikram-chand","status":"publish","type":"page","link":"https:\/\/itrnetwork.org\/prof-dr-vikram-chand\/","title":{"rendered":"Prof. Dr. Vikram Chand"},"content":{"rendered":"

[vc_row lg_spacing=”padding_top:200;padding_bottom:100″ sm_spacing=”padding_top:100″][vc_column offset=”vc_col-md-6″][tm_image full_wide=”1″ image=”5443″][\/vc_column][vc_column lg_spacing=”padding_left:65″ md_spacing=”padding_left:15″ offset=”vc_col-md-6″][tm_spacer size=”lg:30″][tm_heading custom_google_font=”” text=”Prof. Dr. Vikram Chand” font_size=”sm:24;md:30;lg:36″][tm_spacer size=”lg:30″][tm_heading tag=”h5″ custom_google_font=”” text=”University of Lausanne” font_size=”lg:18″ line_height=”1.67″][tm_spacer size=”lg:21″][tm_heading tag=”div” custom_google_font=”” text=”Prof Dr Vikram Chand is an Associate Professor of Law at the University of Lausanne (UNIL),<\/strong> Switzerland. He currently also serves as the Program Director of the Executive Program in Transfer Pricing<\/strong> offered by UNIL, the Managing Editor of the Kluwer International Tax Law Blog<\/strong> as well as an International Tax Training<\/strong> expert for the OECD.<\/strong>“][tm_spacer size=”lg:21″][tm_heading tag=”div” custom_google_font=”” text=”His core areas of research expertise relates to Application of the Arm\u2019s Length Principle to various Intra Group Transactions in various industries, Tax Treaty Law and Interpretation, International Tax Avoidance, Taxation of the Digital Economy and Digital Assets<\/strong> as well as Tax Controversy Management.<\/strong>“][tm_spacer size=”lg:21″][tm_heading tag=”div” custom_google_font=”” text=”His expertise is evidenced by several publications on these topics, in particular, publications in top peer reviewed journals such as the World Tax Journal, Intertax, British Tax Review and the International Tax Studies.<\/strong> His doctoral thesis – The Interaction of Domestic Anti-Avoidance Rules with Tax Treaties<\/strong> – was also shortlisted for the prestigious Frans Vanistendael award that is conferred by the IBFD.”][tm_spacer size=”lg:21″][tm_heading tag=”div” custom_google_font=”” text=”Additionally, Prof Chand teaches Swiss Tax Law<\/strong> at the Bachelor level and Tax Treaties, European Tax Law, Transfer Pricing and Digitalization and Taxation (Pillar I & Pillar II rules and Taxation of Digital Assets)<\/strong> at the Master level. Moreover, he teaches in several continuing education programs in Switzerland and abroad (such as Executive Masters or Advanced LLMs<\/strong>) in these areas.”][tm_spacer size=”lg:21″][tm_heading tag=”div” custom_google_font=”” text=”He has also trained senior tax \/ policy officials from several countries including officials from China, Indonesia, Uganda, India, Sri Lanka, Nepal, Ukraine, Georgia, Sudan, Bangladesh, Afghanistan, Sierra Leone and Maldives<\/strong> (in particular, on Transfer Pricing, Tax Treaties, Dispute resolution and BEPS matters<\/strong>). Additionally, he is a regular speaker in several seminars and conferences from around the world<\/strong> and is also regularly invited in public consultations organized by the OECD (in particular, on transfer pricing, Pillar I and Pillar II).”][tm_spacer size=”lg:21″][tm_heading tag=”div” custom_google_font=”” text=”As a result of the above activities, Prof Dr Vikram Chand is regularly approached for advise on mitigating international tax risks and controversies as well as independent expert opinions<\/strong> on his key areas of expertise.”][\/vc_column][\/vc_row]<\/p>\n","protected":false},"excerpt":{"rendered":"

[vc_row lg_spacing=”padding_top:200;padding_bottom:100″ sm_spacing=”padding_top:100″][vc_column offset=”vc_col-md-6″][tm_image full_wide=”1″ image=”5443″][\/vc_column][vc_column lg_spacing=”padding_left:65″ md_spacing=”padding_left:15″ offset=”vc_col-md-6″][tm_spacer size=”lg:30″][tm_heading custom_google_font=”” text=”Prof. Dr. Vikram Chand” font_size=”sm:24;md:30;lg:36″][tm_spacer size=”lg:30″][tm_heading tag=”h5″ custom_google_font=”” text=”University of Lausanne” font_size=”lg:18″ line_height=”1.67″][tm_spacer size=”lg:21″][tm_heading tag=”div” custom_google_font=”” text=”Prof Dr Vikram Chand is an Associate Professor of Law at the University of Lausanne (UNIL), Switzerland. He currently also serves as the Program Director of the Executive Program in Transfer Pricing offered by UNIL, the Managing Editor of the Kluwer International Tax Law Blog as well as an International Tax Training expert for the OECD.“][tm_spacer size=”lg:21″][tm_heading tag=”div” custom_google_font=”” text=”His core areas of research expertise relates to Application of the Arm\u2019s Length Principle to various Intra Group Transactions in various industries, Tax Treaty Law and Interpretation, International Tax Avoidance, Taxation of the Digital Economy and Digital Assets as well as Tax Controversy Management.“][tm_spacer size=”lg:21″][tm_heading tag=”div” custom_google_font=”” text=”His expertise is evidenced by several publications on these topics, in particular, publications in top peer reviewed journals such as the World Tax Journal, Intertax, British Tax Review and the International Tax Studies. His doctoral thesis – The Interaction of Domestic Anti-Avoidance Rules with Tax Treaties – was also shortlisted for the prestigious Frans Vanistendael award that is conferred by the IBFD.”][tm_spacer size=”lg:21″][tm_heading tag=”div” custom_google_font=”” text=”Additionally, Prof Chand teaches Swiss Tax Law at the Bachelor level and Tax Treaties, European Tax Law, Transfer Pricing and Digitalization and Taxation (Pillar I & Pillar II rules and Taxation of Digital Assets) at the Master level. Moreover, he teaches in several continuing education programs in Switzerland and abroad (such as Executive Masters or Advanced LLMs) in these areas.”][tm_spacer size=”lg:21″][tm_heading tag=”div” custom_google_font=”” text=”He has also trained senior tax \/ policy officials from several countries including officials from China, Indonesia, Uganda, India, Sri Lanka, Nepal, Ukraine, Georgia, Sudan, Bangladesh, Afghanistan, Sierra Leone and Maldives (in particular, on Transfer Pricing, Tax Treaties, Dispute resolution and BEPS matters). Additionally, he is a regular speaker in several seminars and conferences from around the world and is also regularly invited in public consultations organized by the OECD (in particular, on transfer pricing, Pillar I and Pillar II).”][tm_spacer size=”lg:21″][tm_heading tag=”div” custom_google_font=”” text=”As a result of the above activities, Prof Dr Vikram Chand is regularly approached for advise on mitigating international tax risks and controversies as well as independent expert opinions on his key areas of expertise.”][\/vc_column][\/vc_row]<\/p>\n","protected":false},"author":1,"featured_media":0,"parent":0,"menu_order":0,"comment_status":"closed","ping_status":"closed","template":"","meta":{"footnotes":""},"aioseo_notices":[],"_links":{"self":[{"href":"https:\/\/itrnetwork.org\/wp-json\/wp\/v2\/pages\/5427"}],"collection":[{"href":"https:\/\/itrnetwork.org\/wp-json\/wp\/v2\/pages"}],"about":[{"href":"https:\/\/itrnetwork.org\/wp-json\/wp\/v2\/types\/page"}],"author":[{"embeddable":true,"href":"https:\/\/itrnetwork.org\/wp-json\/wp\/v2\/users\/1"}],"replies":[{"embeddable":true,"href":"https:\/\/itrnetwork.org\/wp-json\/wp\/v2\/comments?post=5427"}],"version-history":[{"count":19,"href":"https:\/\/itrnetwork.org\/wp-json\/wp\/v2\/pages\/5427\/revisions"}],"predecessor-version":[{"id":5559,"href":"https:\/\/itrnetwork.org\/wp-json\/wp\/v2\/pages\/5427\/revisions\/5559"}],"wp:attachment":[{"href":"https:\/\/itrnetwork.org\/wp-json\/wp\/v2\/media?parent=5427"}],"curies":[{"name":"wp","href":"https:\/\/api.w.org\/{rel}","templated":true}]}}