Managing Transfer Pricing In Asia 12 November 2019
Home • Events • Managing Transfer Pricing In Asia 12 November 2019
Home • Events • Managing Transfer Pricing In Asia 12 November 2019
In recent years, Transfer Pricing has seized a lot of our attention, especially in Asian countries. The tax authorities are catching up on
the implementation of BEPS Action Plans, often adding compliance burdens to the business leaders. With two or more jurisdictions involved,
the challenge is how we can satisfy all of their requirements.
Transfer Pricing is an area of tax that is gaining more and more attention from tax authorities and business leaders. One of the main challenges with TP is that two or more jurisdictions are involved and it is not an easy task to satisfy all of them. Hence, the importance on practical strategies to manage TP risks in different jurisdictions.
This seminar is designed to share practical knowledge through real life cases studies. You will learn:
Morning Session
Afternoon Session
Closing Date for Registration - one week before programme or until full enrollment
The Institute of Singapore Chartered Accountants is consistently working on the issue and has teamed up with Ms Adriana Calderon,
Director of Transfer Pricing Solutions Asia. Together,
we initiated a discussion on how you can manage your transfer pricing exposure. The class is designed as a
platform to share practical knowledge through real life case studies.
Save yourself a seat (or two) for the latest transfer pricing development in leading Asian countries! Know who you’re dealing with, their expectations, and how you can prepare yourself for tax reviews and audits. Special discount applies to members of ISCA.
Read more about the event and REGISTER NOW!
https://eservices.isca.org.sg/courseDetail?courseMasterId=a0g28000002aNYkAAM
Starting May 2026, in-scope multinational enterprise (MNE) groups must register for Singapore’s Multinational Enterprise Top-up Tax (MTT), Domestic Top-up Tax (DTT), and the GloBE Information Return (GIR) under the Multinational Enterprise (Minimum Tax) Act 2024.
For the year 2026, IRAS has updated its indicative margin, reaffirming its support for simplified, arm’s length transfer pricing practices.
Singapore taxpayers entering into financial arrangements with related parties must ensure compliance with the arm’s length principle. This includes transactions such as cash pooling, hedging, financial guarantees, captive insurance, and related party loans.