Transfer Pricing Report - Singapore
Take Control of Transfer Pricing Singapore for Tax Clarity & Total Tax Compliance.
Singapore’s Transfer Pricing framework, governed by the Income Tax Act (Section 34D) and the IRAS e-Tax Guide (5th Edition, 2021), requires that all related-party transactions be conducted at arm’s length.
Taxpayers must maintain detailed Transfer Pricing documentation to substantiate that their pricing policies align with market conditions and the OECD Transfer Pricing Guidelines.
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Our Expertise in Transfer Pricing Services Singapore
Achieve Seamless Compliance with IRAS Transfer Pricing Rules
At Transfer Pricing Report, we help enterprises in Singapore maintain fully compliant and defensible Transfer Pricing policies.
Our process ensures that pricing reflects economic substance, commercial rationale, and arm’s-length comparability.
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Our Commitment Accuracy, Transparency & Tax Clarity
We provide transparent, data-driven Transfer Pricing documentation aligned with IRAS requirements and global best practices. Our reports are clear, defensible, and designed to minimize audit exposure while maintaining global tax consistency.

Strategic Compliance
Financial Strategy
A Simple Process Designed to Ensure Full Transfer Pricing Compliance in Singapore

Identify Related-Party Transactions

Benchmarking & Analysis

Documentation & Reporting
Experienced Transfer Pricing Advisors in the Singapore
Answers to Your Transfer Pricing Concerns Singapore
Get clarity on the most common questions our clients ask about international transfer pricing services.

Still Have Questions?
Taxpayers must maintain documentation under Section 34D of the Income Tax Act and IRAS e-Tax Guide for all related-party transactions exceeding prescribed thresholds.
Yes. Singapore’s Transfer Pricing rules closely align with the OECD BEPS Action 13 framework, emphasizing the arm’s-length principle.
Benchmarking involves comparing related-party transactions with independent third-party transactions to determine arm’s-length pric
Documentation should be completed by the filing due date of the income tax return and must be updated annually.
Failure to maintain proper documentation can lead to penalties of up to SGD 10,000 per transaction and Transfer Pricing adjustments.
We offer end-to-end Transfer Pricing documentation, benchmarking studies, APA assistance, and IRAS audit support, ensuring compliance and risk protection.
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