Transfer Pricing (TP) is one of the riskiest areas and hotbed for audits by IRB in Malaysia. Companies with domestic and cross border intercompany transactions must ensure audit readiness through compliance with TP laws and documentation.
In this session, we will discuss:
Areas of scrutiny in a TP audit by IRB;
Ways to manage a TP audit effectively, including challenging tax assessments raised by the IRB;
Preparation of contemporaneous TP documentation, considering the new Transfer Pricing Rules 2023; and
Gathering of evidence and data to ensure TP audit readiness.
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