Are you prepared for navigating the new transfer pricing landscape? This webinar brings together a team of seasoned transfer pricing professionals who will offer the latest insights about transfer pricing.
During this webinar, we will embark on a thrilling journey, exploring the latest developments and regulations in the ever-evolving transfer pricing landscape.
We will also discuss recent developments in international tax policy, and consider the impact for multinational companies to effectively manage their transfer pricing obligations.
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Join us in this workshop as we delve into real-life case studies to share practical knowledge on managing transfer pricing in Singapore and the Asia Pacific region.
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.