WEBINARIntroduction to Transfer Pricing - 49th Run
23 April 2025 // 9:00a.m.- 5:00p.m. |
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Do you engage in transactions with related parties, i.e. companies within your Group, be it
sister companies, associated companies or subsidiaries? If so, you will need to be aware of the recent changes in the transfer pricing
regulations in Singapore as well as across the region. Transfer pricing refers to the pricing of goods/services/assets and/or funds when
they are transferred within a Group.
The Introduction
to Transfer Pricing workshop
is designed to arm participants with an understanding of transfer pricing as well as transfer pricing compliance in various Asia Pacific
countries. In addition, a discussion of the various transfer pricing methods and their application, as well as the transfer pricing regime
in Singapore will be presented.
WHAT WE'LL COVER
WEBINAR FACILITATORS
Adriana Calderon has extensive
international experience with Big Four and mid-tier firms advising multinational companies in the areas of corporate and international
taxation across South America, the US, Australia and the Asia Pacific Region.
As a TP practitioner, Adriana has advised companies in the Asia Pacific Region across various industries and in a wide range of projects
associated with planning, compliance and dispute resolutions with tax authorities. She has also participated in specialised projects
involving pricing of financial transactions, business restructures and negotiation of APAs. Most recently, she has participated in TP
planning projects to implement BEPS’s Action Plan and country-by-country reporting.
As global tax reform reshapes the way multinationals manage cross-border transactions, Operational Transfer Pricing (OTP) is rapidly becoming a business-critical priority, especially in the Asia-Pacific (APAC) region.
As global trade becomes more complex, companies are re-examining their supply chains - and transfer pricing is at the heart of that conversation.
The OECD has published updated transfer pricing country profiles reflecting the current transfer pricing legislations and practices of 11 jurisdictions and issued for the first time the profiles of Azerbaijan and Pakistan. These latest country profiles present country-specific information on the transfer pricing treatment of hard-to-value intangibles and the simplified and streamlined approach for baseline marketing and distribution activities.