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Insights on the new Chinese Transfer Pricing regulations

28 Sep 2016

On 29 June, 2016 China's State Administration of Taxation issued Public Notice 42, which provides new transfer pricing requirements in China. Among the new requirements are annual reporting forms for related party transactions, Country-by-Country Reporting, and Transfer Pricing documentation. These changes represent significant changes from the existing rules. Jeff Yuan and Paul Tang, partners in PwC China's Transfer Pricing services practice, discuss these changes and what they mean for businesses with related party transactions in China. Jeff and Paul were the official translators of the BEPS Action 13 report on Transfer Pricing documentation and Country-by-Country Reporting that was issued by China's State Administration of Taxation. | Duration: 18:03

Navigating Transfer Pricing Challenges in Asia with a focus on India and China

17 Oct 2016

This episode provides an overview of recent Transfer Pricing trends in Asia, specific audit trends in India and China, use of Advanced Pricing Agreements (APA) in China and India, discussion of recent tax circulars issued by China's State Administration of Taxation (SAT), and strategies for multinational companies navigating these transfer pricing matters. For further information, please contact either Sanjay Tolia, PwC's Transfer Pricing leader for Asia-Pacific and India, Jeff Yuan, PwC's Country leader for China and Hong Kong, or Steven Tseng, PwC's Asia Business Center leader. Additionally, you can go to PwC's Asia Business Center for further resources. | Duration: 15:50

Contact us

Jeff Yuan

Partner, PwC Hong Kong

Tel: +[86] (21) 2323 3495

Paul Tang

Partner, PwC Hong Kong

Tel: +[86] (21) 2323 3756

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