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India’s transfer pricing overhaul expands safe harbours at scale and accelerates advance pricing agreements alongside the statutory recodification of the Income-tax Act, report Uday Ved, Hetav Vasani, and Jainesh Nahar of KNAV
May 15, 2026
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  • As challenges from various Asian tax authorities ramp up, one may think transfer pricing in Japan is no longer an issue. The focus of the Japanese tax authority might have been shifted from one transfer pricing issue to another and the types of challenges might have been changed as well; however, its emphasis on transfer pricing has never been diminished.
  • Maria Carmela Peralta, Eugene Pulga, Rey Llesol and Valerie Jill Reyes of KPMG in the Philippines take a look at the first year of the new transfer pricing regulations.
  • Transfer pricing (TP) is once again the subject of a strong focus by the Australian government and the Australian Tax Office (ATO), explain Tony Gorgas, Damian Preshaw and Sean Wright of KPMG Australia.

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