Our collection of resources based on what we have learned on the ground

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webinar

An Introduction to Transfer Pricing in China

An Introduction to Transfer Pricing in China

Learn how China's Transfer Pricing regulations affect your business. During the webinar, Shirley Chu, Transfer Pricing Services Manager, will provide the basics of transfer pricing and how it affects multinational companies today.

magazine

Revisiting Transfer Pricing in China: a Year of New Regulations

Revisiting Transfer Pricing in China: a Year of New Regulations

2016 has seen the release of new laws that have revamped transfer pricing compliance for MNCs in China. If implemented early in a Chinese entity’s business life, a transfer pricing system can complement and support an MNC’s business model and com...

infographic

Transfer Pricing in China at a Glance

Transfer Pricing in China at a Glance

This infographic offers a brief overview of transfer pricing in China, running through the history of its transfer pricing policies, as well as the current transfer pricing process in the Middle Kingdom

infographic

Comparable Uncontrolled Price Methods in China

Comparable Uncontrolled Price Methods in China

This infographic displays the internal and external Comparable Uncontrolled Price Methods (CUPMs). CUPMs are used to identify the arm's length price in a related party transaction (RPT).

infographic

Choosing a Transfer Pricing Method in China

Choosing a Transfer Pricing Method in China

This infographic offers valuable information on how to choose the correct transfer pricing method based on the type of transaction being performed.

infographic

New Requirements for Preparing Local File Documentation in China

New Requirements for Preparing Local File Documentation in China

This infographic offers an extensive list of new requirements for taxpayers preparing their transfer pricing documentation in China.

Q&A

What is the arm’s length principle of transfer pricing?

What is the arm’s length principle of transfer pricing?

The arm’s length principal states that that the price charged for goods or services between two related parties must be the same as the price that would be charged if the two parties were unrelated.  Therefore the arm’s length p...

Q&A

What is contemporaneous documentation in China?

What is contemporaneous documentation in China?

Tax authorities across the world define contemporaneous documentation in different ways.  In China, contemporaneous documentation comes in the form of either a master file, local file, or a special file.  If tax authorities request document...

Q&A

What effects will China’s new transfer pricing regulations have on the present...

What effects will China’s new transfer pricing regulations have on the present...

On June 29, 2016, China’s State Administration of Taxation issued Announcement No.42, updating the requirements concerning related company transfer pricing.  These new regulations have been put into effect in an effort to help Chinese tax ...

Q&A

What is the significance of the comparable uncontrolled price method (CUPM) in C...

What is the significance of the comparable uncontrolled price method (CUPM) in C...

The Comparable Uncontrolled Price Method (CUPM) is used to establish the arm’s length price of a Related Party Transaction (RPT).  The CUPM does this by taking the given price of a transaction between two unrelated parties taking part in a...

Q&A

How is the resale price method (RPM) used to determine the arm’s length price ...

How is the resale price method (RPM) used to determine the arm’s length price ...

The Resale Price Method (RPM) establishes the arm’s length price of related party transactions (RPT) concerning the purchase of merchandise.  The Resale Price Method generally applies to transactions regarding products rather than services...

Q&A

What is the significance of India's 2013 Companies Act?

What is the significance of India's 2013 Companies Act?

The Companies Act, 2013, updates the information that must be included in the statement of repatriation of profits from a foreign company.  Additionally, the Act affects the statement of transfer of funds and the information that it should inclu...

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