Got transfer pricing questions? Adriana Calderon, Managing Partner of Transfer Pricing Solutions Asia & Malaysia, has the answers.
In this bite-sized series, Adriana tackles the most pressing and topical transfer pricing questions affecting multinational groups
operating across Asia, Malaysia, and the broader APAC region.
From Pillar Two and GloBE compliance to local filing obligations, regulatory updates and practical strategies, every episode delivers
clear, expert guidance unpacked into micro summary format, so you can quickly keep in front on the latest in transfer pricing. Whether
you're a CFO, tax director or finance leader navigating cross-border complexity, this series is your go-to resource for staying ahead of
the curve.
New episodes added regularly - subscribe to our YouTube
channel
so you don't miss an update.
As a lifelong football fan, Adriana has experienced the emotional rollercoaster of celebrating a goal, only to have it sent upstairs for review. As a transfer pricing adviser? She's seeing the same thing happen there too. What looked good a few years ago is now getting a second look. More data. More transparency. More scrutiny.
In this episode of Ask me Anything, Adriana Calderon discusses how to optimise both transfer pricing and global minimum tax — why aligning your business model with both sets of rules is critical.
Adriana Calderon on 2026 tax trends across APAC - why higher taxes make proactive tax planning and transfer pricing strategy more critical than ever.
In this episode of our Ask Me Anything series, Adriana Calderon, Managing Partner of Transfer Pricing Solutions Asia & Malaysia, breaks down the 9th edition of Singapore's Transfer Pricing Guidelines and what the share-based compensation update means for your business.
In this episode of our Ask Me Anything series, Adriana Calderon, Managing Partner of Transfer Pricing Solutions Asia & Malaysia, breaks down the latest on Singapore's Pillar Two registration requirements — and what in-scope multinational groups need to act on right now.