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During these recent times, transfer pricing is still one of the hottest topics, both within the global and domestic tax practice. Following the issuance of PMK-22/PMK.03/2020 on Advance Pricing Agreement (APA) which also covers the Arm’s Length Principle, multinational enterprises (MNEs) are required to make adjustments in accordance with the current transfer pricing regulations.
Hence taxpayers are faced with the risk of transfer pricing disputes, for example related to the use of transfer pricing methods and loss-making conditions of taxpayers with related party transactions.
Darussalam, S.E., Ak., CA., M.Si., LL.M Int. Tax.
Managing Partner DDTC
Adinda Nur Larasati, S.E., B.Com.
Specialist Transfer Pricing Services DDTC