Singapore Transfer Pricing Update – 2023 IRAS’ Indicative margins for related party loan
Home • Insights • Singapore Transfer Pricing Update – 2023 IRAS’ Indicative margins for related party loan
Home • Insights • Singapore Transfer Pricing Update – 2023 IRAS’ Indicative margins for related party loan
below reflects the indicative margin for related party loans obtained or provided after 2022 that should be added to the new base reference rates (i.e., RFRs).
Table 1: Base reference rates for RFRs
| Period | Indicative Margin |
| 1 Jan 2022 to 31 Dec 2022 | + 180 bps (1.80%) |
| 1 Jan 2023 to 31 Dec 2023 | + 230 bps (2.30%) |
The following example illustrates how Taxpayers can use the indicative interest rate for intercompany loans.
Talk to our team of experts today.
| AUSTRALIA | +61 (3) 59117001 | reception@transferpricingsolutions.com.au |
| SINGAPORE | +65 31585806 | services@transferpricingsolutions.asia |
| MALAYSIA | +603 2298 7153 | services@transferpricingsolutions.my |
Our purpose is to make a difference in the service we provide to our clients by being practical, proactive and cost-effective.
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.