Transfer Pricing For Intragroup Financing In Asia
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Home • Insights • Transfer Pricing For Intragroup Financing In Asia
Think you've mastered the intricacies of transfer pricing? Buckle up, the complex world of intragroup financing in Asia awaits with intriguing questions like:
Here's a glimpse into what you could be overlooking:
We can assist your clients with preparation of transfer pricing documentation, country by country (CbC) reporting, master file, comprehensive transfer pricing policy, performing global and local benchmarking comparable searches, providing training designed for CFOs and tax teams and performing transfer pricing controversy and audits.
The introduction of corporate taxes in Gulf States countries means that TP rules have gained importance in the region, and approaches taken in Southeast Asia.
Misalignments with regulations, discrepancies in data, and evolving interpretations of arm's length principles can all trigger disputes, potentially leading to significant financial implications.
The ATO has tightened CbC reporting rules for MNEs, effective January 1, 2025, significantly increasing compliance costs and obligations. Key changes include the elimination of most self-assessed exemptions, requiring formal requests with detailed evidence, and reduced administrative relief for local file reporting.