Transfer Pricing

  • Jun
  • 17

Analysis of Domestic Transfer Pricing Provisions in India

After the grand success of International Transfer pricing, through which huge transfer pricing orders slapped on companies with cross-border operations in the financial year 2011-12, Hon’ble Finance Minister has cast his net wider and deeper for the next one by including Specified Domestic Transactions in the purview of Transfer Pricing (TP).

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  • Jun
  • 14

CBDT Amends Format of Form 3CEB – More reporting compliance by the Auditors

In pursuance of the changes made by the Finance Bill 2012 bringing specified domestic transactions under the ambit of Transfer Pricing Regulations, CBDT has amended the format of Form 3CEB vide notification number 41 dated 10 June 2013. The said notification also amends Rule 10A, 10AB, 10B, 10C, 10D and 10E. 

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  • Jun
  • 13

Transfer Pricing – Audit Report Format for international & specified domestic transactions with additional disclosures

Rajesh S. Athavale The CBDT has notified vide Notification No. 41 dated 10 June 2013,  new Form 3CEB which includes reporting on specified domestic transactions. The said notification also amends Rule 10A, 10AB, 10B, 10C, 10D and 10E. Following are the additional international transactions required to be reported in new Form 3CEB:  International transaction(s) in the nature [...]

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  • Jun
  • 10

Implication of Advance Pricing Agreement (APA)

The Finance Act’ 2012 has introduced Section – 92 CD relating to the Advance Pricing Agreement (APA) which came into force w.e.f. 1st July’ 2012. An Advance Pricing Agreement is an agreement between the taxpayer and the tax authority on the pricing of future related party transactions. The Taxpayer and the tax authority agrees on [...]

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  • Jun
  • 07

Article on Specified Domestic Transactions (Transfer Pricing)

The Transfer Pricing provisions has been introduced in india in the year 2001. Since then it has come a long way. Now, the Finance Act’ 2012 has extended the scope of Transfer Pricing provisions to certain specified domestic transactions and introduced section-92BA in order to bring in certain specified domestic transactions undertaken by the enterprises [...]

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  • Jun
  • 05

Applicability of Rules of Transfer Pricing on Specified Domestic Transactions

The Finance Act, 2012 has extended the applicability of provisions of transfer pricing to Specified Domestic Transactions also. As per Sec.92BA “Specified Domestic Transaction “means:- Any expenditure in respect of which payment has been made or is to be made to a person referred to in clause (b) of Sec. 40A(2), Any transaction referred to [...]

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  • Jun
  • 05

Transfer Pricing Law Not Applies to Share Investment Transactions

In our opinion, the amount representing 2118.84 is towards investment in share capital of the subsidiaries outside India as the transactions are not in the nature of transactions referred to section 92-B of the IT Act and the transfer pricing provisions are not applicable as there is no income. Accordingly, we set aside the order [...]

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  • Jun
  • 01

Download United Nations Practical Manual on Transfer Pricing for Developing Countries

CA Praveen Boda UN releases official version of ‘UN Practical Manual on Transfer Pricing for Developing Countries’ at New York; Manual was adopted by UN Committee at Geneva session in October 2012;  Manual to help mitigate developing countries’ vulnerability to abuse and revenue loss from tax evasion from transfer pricing; Chapter 10 of the Manual [...]

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  • May
  • 22

Transfer Pricing – OECD revises Safe Harbouring Guidelines

The existing language of Section E (paragraphs 4.93 through 4.122) would be removed and replaced with the following language. The enumeration of paragraphs of Section F would be adapted accordingly.

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  • May
  • 18

Transfer Pricing – FAQs on India Advance Pricing Agreement (APA) scheme

The APA rules provide that APA team would also include experts in economics, statistics, law or any other field as may be nominated by the DGIT (IT).Would such experts be included in each and every APA or would the need be analysed on a case to case basis?

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