Every year, we teach more than 15 transfer pricing workshops presented in Singapore and Australia.
If you missed any of the events, the ISCA Journal has published summaries of our workshops with the key highlights. You can access the summaries in the links below.
Multinationals in Asia are navigating new tax regimes and compliance requirements. New OECD rules on international tax have propelled Asia to the forefront of one of the most significant international tax reforms in decades.
Winning the 2025 ITR Asia-Pacific Tax Award in Transfer Pricing isn’t just a win for us - it’s a win for businesses across Australia and the APAC region.
Transfer Pricing Solutions has been named a finalist in the prestigious 2025 ITR Asia-Pacific Tax Awards in three key jurisdictions: Australia, Singapore, and Malaysia, under the category of Transfer Pricing Firm of the Year.
Transfer Pricing Solutions Asia has been shortlisted as a finalist for Transfer Pricing Firm of the Year – Singapore in the 2025 ITR Asia-Pacific Tax Awards.
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.
We are thrilled to share that Adriana Calderon, Director of Transfer Pricing Solutions Asia, has been appointed by ISCA as a Transfer Pricing Roundtable Representative for SCTP.
The fundamental principles articulated in OECD’s and the Inland Revenue Authority of Singapore (IRAS)’, Transfer Pricing Guidelines (TPGs) are similar even though their approaches may vary.
Since the OECD’s base erosion and profit shifting (BEPS) project, transfer pricing (TP) rules and regulations worldwide have continued to grow in number and complexity.
As the OECD presses on with its two-pillar solution under the new BEPS 2.0 initiative, TP is set to dominate the international tax agenda for years to come.
From different thresholds for TPD to the general approach taken by the tax authorities, there are many differences between Singapore and Malaysia’s TP regimes.
Read the latest update by our Asia Director, Adriana Calderon. Adriana has extensive international experience with #BigFour 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.
The OECD guidance emphasised that, besides interest rates, all terms and conditions of the financing transactions (including the volume of debt) should be tested against the arm’s length principle.
Achieving tax excellence is not just about practical insights to manage the complexities, it is also very much about having a strong grasp of fundamentals to ensure a strong foundation.
As Transfer Pricing (TP) continues to be at the frontline of tax issues that companies with related party transactions face, it is vital to have a solid grasp of TP fundamentals.
Due to the depth of its trading market and its close proximity to key markets, Singapore has been the preferred location for commodity marketing and trading activities.
With transfer pricing being the talk of the town, there is no time like the present to build up an arsenal of knowledge to power through TP documentation.
In today’s global business environment, it is commonplace for multinational enterprise (MNE) groups to provide a wide array of intra-group services for various strategic reasons. These services may range from routine administrative services to other specialised services such as financial, marketing, technical or research and development (R&D) services
Moving past the fundamentals, various myths on intra-group services transactions were busted. Participants attained valuable knowledge and insights through various illustrations, and walked away with the ability to better manage their organisation’s TP affairs.
With the revised e-Tax guide published, SIATP also jointly organised a session with the Inland Revenue Authority of Singapore on possibly the topic that has been the talk-of-the-year for both tax professionals and business executives –TPD.
Bringing light to the many facets of business issues companies face that potentially pose a risk to their overall TP framework were the objectives of the Singapore Institute of Accredited Tax Professionals’ Tax Excellence Decoded session titled “Don’t Be Tripping Over Transfer Pricing Risks”.
As tax authorities around the world continue to focus on transfer pricing (TP), companies must stand ready to defend their TP positions to avoid potential adjustments or penalties arising from TP audits. Maintaining adequate contemporaneous TP documentation is often the key.