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  • Geoffrey K. Soh, a partner at KPMG in Singapore and Felicia Chia, a director, examine Singapore’s dynamic and evolving tax environment including the new transfer pricing updates in January 2016.
  • Maria Carmela M. Peralta, a partner at KPMG Philippines, looks at developments since the release of transfer pricing regulations in 2013 and examines the Strategic Plan for 2016 – 2020.
  • Benjamas Kullakattimas and Abhisit Pinmaneekul, partners at KPMG in Thailand, discuss the local tax environment including transfer pricing audits.
  • Cheng Chi, a partner at KPMG China, examines the speed at which the Chinese State Administration of Taxation set out its plans for BEPS implementation and its view of BEPS.
  • John Kondos and Lu Chen, partners at KPMG in Hong Kong, look at the rapidly evolving transfer pricing landscape.
  • Iwan Hoo, a partner at KPMG in Indonesia, examines significant changes in the tax landscape and in transfer pricing practices.
  • By Tony Gorgas, KPMG’s Asia Pacific regional leader for Global Transfer Pricing Services.
  • Jun Tanaka and Nobuhiro Tsunoda, partners at KPMG in Japan, and Yosuke Suzaki, a senior manager, discuss the significant changes in Japan’s TP documentation requirements, the influence of tax audits in Japan, as well as the implications of the tax governance rule for taxpayers.
  • Sherry Chang, a partner in KPMG in Taiwan, and Karl W Chan, a director, discuss the Panama Papers, BEPS, transfer pricing audits and recent amendments to transfer pricing guidelines.
  • Bob Kee and Mei Seen Chang, executive directors of KPMG in Malaysia, look at transfer pricing enforcement, business restructuring and BEPS, in this comprehensive examination of Malaysia.