Praise for Asia-Pacific Transfer Pricing Handbook

“Feinschreiber and Kent offer an especially useful guidebook—Asia-Pacific Transfer Pricing Handbook. The comprehensive information is seasoned with refreshing insights and practice tips essential for multinational businesses.”

Eduardo Goldszal Director of Tax, NCR Corp.

“This book will be a valuable and handy resource for all stakeholders—professionals, revenue authorities, and multinational enterprises. It is extremely timely considering the next decade(s) of growth from Asia and consequent increased flow of goods, services, funds, and intangibles. The transfer pricing regime is also evolving in many Asian countries with focused examination of cross-border transactions by revenue authorities and this book will assist in navigating the same.”

Samir Gandhi Partner, Deloitte Haskins & Sells, Mumbai, India

“This book brings a timely and fresh look at the rapidly changing transfer pricing landscape in the region. Whether you are you implementing a new business model in Asia, documenting your intercompany transactions, or are in the middle of defending your historical filing positions, Asia-Pacific Transfer Pricing Handbook will help you understand local rules and procedures and provide you with valuable and practical insights.”

Horacio Peña Partner & Senior Economist, U.S. & Americas Transfer Pricing Practice Leader, PricewaterhouseCoopers, LLP

“Once again Mr. Feinschreiber has provided us with a go-to guide for transfer pricing. This time it’s a guide to the Asia-Pacific region with an abundance of useful and practical information for the transfer pricing practitioner.”

Stuart Simons Partner, International Tax, Deloitte Touche Tohmatsu, Bangkok, Thailand

“Robert Feinschreiber and Margaret Kent continue to provide comprehensive and up-to-date guidance in the complex and dynamic transfer pricing field. In this book, they focus in a very concrete and useful way on what is certainly the most economically explosive region of the world—Asia.”

Michael Kliegman PricewaterhouseCoopers, LLP

“This book provides practical solutions and guidance to assist multinational corporations (MNC) to effectively mitigate transfer pricing tax exposure. It provides practical solutions with examples that demonstrate the use of “allocation keys” under the Transactional Profit Split method that can provide equitable and consistent results in connection with allocating MNC global profits to affiliates in different tax jurisdictions. I believe the information provided by Feinschreiber and Kent’s book will be valuable to business executives, tax professionals, and tax administrative officers.”

Alexander Pan, PhD, MBA, MBT, CPA Partner (retired), PricewaterhouseCoopers, LLP; University of California, Irvine

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