Tax Keys: Transfer Pricing Keynotes Before Closing FY2020


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Recommended:
Date:
19 November 2020, Thursday

Closing Date: 12 November 2020, Thursday or when spaces are filled

Time:
12.00 - 12.30PM

(Tech check from 11.45am)

Venue:
Online Classroom  

CPE Hours (Income Tax):

0.5 hour(s)

CPE Hours (GST):

0 hour(s)

Details/ Promotion:

Contact:
Contact Glenn or Wan Zhen at enquiry@sctp.org.sg
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Programme Synopsis

As the end of a challenging and tumultuous year draws near, what must companies do to substantiate the arm’s length nature of their transfer pricing (TP) arrangements, particularly if they have been adversely impacted by COVID-19?

In this part one of a two-part series designed for the busy tax professionals, get to the crux of the matter in 30 minutes and be equipped with the crucial key to managing transfer pricing as this pandemic year closes. 

Programme Outline

  • Be aware of what IRAS’ expectations are
  • Know the broad approach to take to managing transfer pricing for FY 2020
  • Understand the crucial issues to get right for transfer pricing as this pandemic year closes

About the Facilitator(s)


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Ms Elis Tan
Executive Director, Transfer Pricing
BDO Singapore
Accredited Tax Advisor (Income Tax)


Elis has more than 20 years of tax transfer pricing experience. Currently, she is the Executive Director heading the dedicated transfer pricing team at BDO Tax Advisory Pte Ltd.

Elis started her career with a Big 4 firm where she provided transfer pricing services to a diverse portfolio of clients in the industrial, consumer manufacturing, retail, pharmaceutical, oil & gas, banking, and asset management sectors. From 2006 to 2009, Elis was based in Shanghai, helping China-based multinational clients manage their transfer pricing risks. Elis also spent more than 3 years as Head of Transfer Pricing, Asia-Pacific region, at one of the largest multinational insurance groups based in the United States.

Elis has extensive experience in handling all aspects of transfer pricing including documentation compliance, planning and controversy management. Her work includes transfer pricing risk assessment, audit defence, tax effective value chain management in relation to the use of regional principals, application and negotiation of tax incentives and working with customs and tax colleagues for overall tax optimisation. She also has experience negotiating advanced pricing arrangements (APAs) with tax authorities in Singapore, China and Japan.








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