Novotel Clarke Quay,
Asia's leading independent Transfer Pricing Forum
Featuring in-house TP leaders, top specialist advisers and the leading policy makers reshaping the International Tax landscape for the 21st Century
Exclusive case studies, thought provoking keynotes, panel discussions, workshops & the best structured networking opportunities in the industry
2018 agenda highlights
Just some of the sessions you cannot afford to miss at TP Minds Asia this year:
Keynote Session with the OECD
Melinda Brown, Senior Advisor at the OECD, will be opening TP Minds Asia 2018 with a presentation outlining the OECD's Centre for Tax Policy and Administration's agenda for 2018/19. Don't miss the opportunity to hear directly from the OECD on their vision in transforming the transfer pricing and international tax landscape, including the digital economy, financial transactions and profit splits.
Transfer Pricing and the Digital Economy: Where are we now?
With the OECD's interim report on the tax challenges of digitization, Digital economy taxation remains at the forefront of the global tax agenda for policy makers and tax authorities alike. Our digital economy panel will assemble in-house transfer pricing leaders to discuss what latest global policy developments will mean for their businesses and what can be done to help shape policy in this area.
Managing the In-house TP Function
With an increasing amount of strain on the in-house tax and transfer pricing functions of a business, Heads of Tax are constantly having to adapt to an rapidly changing tax department. This session will explore the role of technology in the modern day in-house tax function, the insourcing vs outsourcing debate, and the attributes required for a Head of Tax and Transfer Pricing in the current climate.
What's Been Keeping the Tax Authorities Awake at Night?
Hear from regional tax authorities on the latest challenges and perspectives on the transfer pricing landscape in 2018. How are tax authorities utilising data as a result of CbCR submissions? How are they managing the increased compliance burden in a post BEPS world? You will also get the chance to pose your burning questions to the panel - not too be missed!
Transfer Pricing Documentation: Expectation vs Reality
With the first round of CbCR deadlines passed for many, we explore the road to transfer pricing documentation submission, and multinationals discuss their initial experiences with BEPS Action 13 as well as the practical challenges encountered with Local File/Master File Implementation. How do these industry experiences compare with initial expectations? Join us and find out!
Transfer Pricing Controversy & Dispute Resolution
The transfer pricing controversy landscape shows no sign of slowing down, with many cases having received worldwide attention in the past year. With many tax professionals expecting the number of transfer pricing disputes to rise in the foreseeable future, this session will explore the current controversy landscape in Asia-Pacific and offer advice and best practice when resolving transfer pricing disputes.
2018 speaker line-up included
TP Minds Asia in numbers
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