The OECD has received and published an invitation to a discussion on the application of the method Profit Split in the context of the global value chain (the document is more than 500 pages). As a co-author of the opinion submitted within the framework of our Association Center for Transfer Pricing. I believe that the views provided by some of the experts are as impressive as divergent on many crucial issues. This document demonstrates the scale of the problem to be solved according to plan in the fourth quarter of B. R. in the form of the final document. On March 19-20, will be held in the conference center of the OECD in Paris meeting to another exchange of views and help the OECD in the elaboration of positions acceptable to the tax authorities of each country.