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  • Episode 68: IRAS Transfer Pricing Update – Version 8.0
    2026/06/09

    The most recent version of the Singapore Transfer Pricing Guidelines, version 8, was published late last year.

    EY Host and Financial Services Transfer Pricing Leader, Jonathan Thompson recently sat down with EY Singapore Transfer Pricing Partner, Adam Henderson, to unpack the latest transfer pricing guidelines.

    In this episode, they explore:

    ✅ Key changes in the updated IRAS guidance

    ✅ Practical implications for multinational groups operating in or through Singapore

    ✅ How taxpayers should approach documentation, substance, and risk allocation in light of the revisions

    ✅ Common areas where increased scrutiny from the authorities may be expected

    Singapore remains a critical hub in many global operating models, and this eighth version of the IRAS guidelines is a clear signal of continued refinement, and heightened expectations for transfer pricing compliance.

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    14 分
  • Episode 67: Brazil Transfer Pricing Update: Insights from the first year of Arm's Length Transfer Pricing
    2026/05/01

    Brazil fundamentally re‑engineered its transfer pricing framework, moving away from its long‑standing formulaic approach and aligning with the #OECD arm's length principle. In this episode, EY host and EY Financial Services Transfer Pricing Leader, Jonathan Thompson and Daniel Biagioni, a Transfer Pricing Partner from EY Brazil discuss what this change really meant in practice for multinationals operating in or with Brazil.

    🎙️ Key topics include:

    ✅ What changed under Brazil's new transfer pricing rules

    ✅ Lessons from the first year of documentation

    ✅ Practical challenges businesses are already facing in implementation

    ✅ What tax leaders should be prioritizing now in terms of governance, systems, and controversy risk

    #EYTPRU #TPCompliance #Brazil #TransferPricing

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    12 分
  • Episode 66: Navigating Canada's Transformative Transfer Pricing Reforms
    2026/02/09

    Canada is entering a new era of transfer pricing regulation. With the federal government introducing sweeping amendments through the 2025 budget and Bill C‑15, businesses now face a far more substance‑driven, #OECD‑aligned framework.

    In the latest EY Transfer Pricing Roundup podcast episode, EY host and Financial Services Transfer Pricing leader Jonathan Thompson sits down with Marlon Alfred, a Transfer Pricing Partner from EY Canada, to break down what these changes mean in practice. Marlon shares insights on how taxpayers should approach delineation, documentation, and risk assessment under the new regime—and what multinationals should be doing now to stay ahead of the curve.

    👉 Tune in to understand the impact, the opportunities, and the road ahead.

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    29 分
  • Episode 65: A transfer pricing postcard from Australia
    2026/02/02

    In the latest episode of the EY Transfer Pricing Roundup, EY host and Financial Services Transfer Pricing leader, Jonathan Thompson and guest Sandra Farhat, a Transfer Pricing and Controversy Partner with EY Sydney, take a deep dive into recent developments in Australian transfer pricing legislation and what they mean for multinational groups operating in—or dealing with—Australia.

    With heightened ATO scrutiny and continued legislative evolution, transfer pricing is always a hot topic. The conversation explores:

    📌 Key legislative and administrative developments shaping Australia's transfer pricing framework

    📌 Practical implications for documentation, governance, and disputes

    📌 What taxpayers should be prioritizing now to manage risk proactively

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    12 分
  • Episode 64: Transfer Pricing Compliance x Technology – where are we at and where are we going?
    2026/01/26

    As many multinational groups begin to think about 2025 transfer pricing compliance, join EY host and Financial Services Transfer Pricing leader, Jonathan Thompson and guest Divya Nair, a Managing Director in EY's Global Center of Excellence, as they discuss the increasingly complex transfer pricing compliance landscape, the relationship between robust transfer pricing documentation, technology usage, and end‑to‑end compliance. This episode unpacks:

    📌 How evolving global standards are reshaping transfer pricing documentation requirements

    📌 Practical challenges companies face when aligning their documentation

    📌 The growing role of technology and data in creating defensible, efficient compliance processes

    📌 What organizations can do today to anticipate regulator expectations tomorrow

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    14 分
  • Episode 63: Transfer Pricing and Pillar Two – Strategic Considerations for MNEs
    2025/10/14

    As jurisdictions begin implementing the OECD's Pillar Two framework, the interaction between transfer pricing policies and GloBE rules is becoming increasingly complex—and consequential.

    In this episode of the EY Transfer Pricing Roundup, EY host and Financial Services Transfer Pricing Leader, Jonathan Thompson is joined by EY International Tax and Transaction Services Partner, Eddie Holland to unpack the transfer pricing implications of Pillar Two, including:

    ☑️ The current status of Pillar 2 implementation

    ☑️Where TP and Pillar 2 interact

    ☑️How TP impacts transitional safe harbor calculations

    ☑️How to address non arm's length transactions and

    ☑️What you should be thinking about going into year end

    This discussion offers timely insights into how TP and Pillar Two intersect—and what that means for your global tax posture.

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    13 分
  • Episode 62: An Advance Pricing Agreement Special
    2025/09/09

    Advance Pricing Agreements (APAs) are more than just a compliance tool—they're a strategic asset.

    In this episode of the EY Transfer Pricing Roundup, EY host and Financial Services Transfer Pricing Leader, Jonathan Thompson is joined by EY Transfer Pricing Partner, Noel de Santos, a recent addition to EY from the Advance Pricing and Mutual Agreement (APMA) team, and Arnaud Sage, EY France Transfer Pricing Partner and former France Competent Authority. Together, they delve into the intricate landscape of bilateral APAs between the United States and France. The discussion focuses on how multinational corporations navigate complex negotiations, meet regulatory expectations, and adapt to the evolving dynamics of tax authorities.

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    27 分
  • Episode 61: Navigating Transfer Pricing in a Tariff-focused World: Strategic Implications and Compliance Challenges
    2025/08/01

    As global trade tensions and protectionist policies drive the resurgence of tariffs, multinational enterprises face increasing complexity in aligning their transfer pricing strategies.

    In this episode of the EY Transfer Pricing Roundup, EY host and Financial Services Transfer Pricing Leader, Jonathan Thompson is joined by EY Transfer Pricing Partner, Ana Maria Romero from our EY New York office and EY Partner, Lynlee Brown from EY's Global trade team to discuss the challenges of maintaining arm's length pricing while managing customs duties, the potential for double taxation, and the importance of aligning transfer pricing documentation with customs declarations.

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    13 分