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Grasp the Intricacies of Intercompany Loans
This session offers participants the opportunity to go beyond fundamentals and grasp what it takes to structure inter-company loans to comply with the Arm’s Length Principle.
Get attuned on the finer details to stand up to scrutiny by tax authorities.
Secure your seat NOW! https://www.siatp.org.sg/images/PDF/regform170818final.pdf
A special discount applies to members of SIATP, ISCA, SICC, SMF and TPS Clients.
For further enquiries about the event, contact Darrick at 6597 5719 / Nabila at 6597 5714 or email to firstname.lastname@example.org.
The OECD guidance emphasised that, besides interest rates, all terms and conditions of the financing transactions (including the volume of debt) should be tested against the arm’s length principle.
Are your controlled transactions in line with the transfer pricing legislation? Mistakes in pricing will roll over from year to year. It is crucial to identify mispricing as soon as possible to better manager the transfer pricing risk.
A US multinational company with subsidiaries around the world, including Singapore, recently prepared new US transfer pricing documentation.
The company applies their transfer pricing policies on a global basis. The US tax director instructs the Singapore tax director to use this documentation. Is the US documentation acceptable in Singapore?