75-78, Level 4, A-Wing, KK Market, Dhankawadi, Pune-411043.
The concept of Transfer Pricing has assumed importance due to the increasing trend in the international transactions. It is not common for the Corporate / Multinational Ventures across the globe to set up a company or division in the other parts of the world. The transactions between these enterprises are known as Related Party Transactions. These related party transactions have raised certain complex issues from the point of view of taxation of each country. The ability of companies to control the prices in the related transactions, thereby, shifting the revenues to tax favourable jurisdiction or low tax dominion, is a matter of concern. As a result, prices adopted by Multinational Ventures in related party transactions are increasingly being subject to analysis, and adjustments
Transfer Pricing Regulations in India:
The Finance Bill, 2001 introduced Transfer Pricing Regulation by amending the provision of Section 92 of the Income Tax Act, 1961. Further, Rules 10A to Rules 10E of Income Tax Rules, 1 962 provide the detailed Transfer Pricing provisions. Section 92E of the Income Tax Act, 1961: provides that every person who has entered into International Transaction is required to submit the report.
How we help you with Transfer Pricing Income Tax:
We undertake detailed study of the international transactions entered by the enterprises with a view to understand its impact from the point of the Income Tax Act, 1961. We also assist enterprises to arrive at the transfer prices which can be established as “arm’s length prices”. The study also includes the submissions made by the enterprises to the other government authorities like the customs and assist the companies to coordinate with the submission to be made to the Income Tax Authorities. The provisions of the Income Tax Act, 1961 also necessitates certification from Chartered Accountant for transaction entered by the companies with its overseas entities. Our associate CA firm undertakes, transfer pricing audit and certification. The firm provides representational services before quasi-judicial authorities and appellate tribunal in matters pertaining to Transfer Pricing Income Tax.