Transfer Pricing

With growing regulatory focus on related-party transactions, we assist with:

 

  • Preparation of contemporaneous TP documentation.
  • Functional and comparability analysis.
  • Benchmarking studies using regional databases.
  • Related Party Transaction Disclosures (Section 140A) in Form C.
  • Preparation of TP Policy and intercompany agreements.
 

Our approach is fully aligned with the OECD Transfer Pricing Guidelines and Malaysian TP Rules (2023 update), reducing the risk of penalties and adjustments.

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