Territorial expansion of businesses due to globalisation has led to an increase in cross border transactions between related companies. There is also greater scrutiny from tax authorities around the globe on related party transactions. Where a related party transaction is not in compliance with the arm’s length principle, tax authorities can make adjustments to the profits and this could result in double taxation.
With the implementation of BEPS, companies are also required to share more details about the Group’s operations, the supply chain model and operating data.
Join RSM and SBA Stone Forest in this webinar to learn how you can better manage tax compliance challenges in China and Singapore. These include disclosure requirements for the Transfer Pricing Documentation and understanding of the TP frameworks in China and Singapore to minimise potential TP risks in the event of a TP audit. Our TP professionals will also share their insights on how to resolve transfer pricing disputes through case studies.
(Event is conducted in Mandarin)
3:00pm – 3:05pm: 与会人员上线
3:05pm – 3:10pm: 欢迎词
3:10pm – 3:50pm: 转让定价法规介绍及比较
3:50pm – 4:20pm: 转让定价稽查重点介绍及比较
4:20pm – 4:50pm: 案例分析
4:50pm – 5:00pm: 问答环节
新加坡 – 请联系 mktg@RSMSingapore.sg 或 6594 7954
中国 - 请联系 email@example.com 或 138 1642 8198 (微信同)