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Transfer Pricing

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Section 161: Foundation of Transfer Pricing Regime under Income Tax Act, 2025

Income Tax : Learn how Section 161 of the Income-tax Act, 2025 establishes the arm's length principle for international and specified domestic ...

June 23, 2026 309 Views 0 comment Print

Specified Domestic Transaction- Penalty for Concealment of Income

Income Tax : The article explains how transactions between associated domestic entities exceeding ₹20 crore must comply with arm's length pri...

June 15, 2026 57930 Views 1 comment Print

Penalties for not Maintaining Documents for Specified Domestic Transactions

Income Tax : Taxpayers entering specified domestic transactions exceeding prescribed thresholds must maintain transfer pricing documentation, a...

June 10, 2026 9801 Views 0 comment Print

Safe Harbour Rules under New Income Tax Act, 2025 & Rules, 2026- Part III

Income Tax : This article explains how Safe Harbour Rules under the Income-tax Act, 2025 interact with APAs, MAP provisions, and transfer prici...

May 7, 2026 1566 Views 0 comment Print

Safe Harbour Rules under New Income Tax Act, 2025 & Rules, 2026- Part II

Income Tax : The framework outlines mandatory disclosures and timelines for opting into safe harbour. Key takeaway: strict compliance is essent...

May 1, 2026 1500 Views 0 comment Print


Latest News


Record 219 APAs Signed Due to Rising Need for Transfer Pricing Certainty

Income Tax : CBDT signed a record number of APAs to provide clarity on transfer pricing and reduce disputes. The framework ensures advance dete...

April 1, 2026 489 Views 0 comment Print

KSCAA Seeks Parity in ITR Due Date Extension for Transfer Pricing Assessees

CA, CS, CMA : KSCAA urged CBDT to extend due dates for assessees under Section 92E, citing an omission in Circular No. 15/2025 that created inco...

November 3, 2025 573 Views 0 comment Print

CA Association Seeks Extension for ITR, Tax and TP Audit Dates

CA, CS, CMA : Chartered Accountants Association, Ahmedabad requests extension of ITR and audit due dates for AY 2025-26 citing compressed timeli...

September 10, 2025 8220 Views 1 comment Print

Tolerance Range for Transfer Pricing Notified for AY 2024-25

Income Tax : CBDT sets transfer pricing tolerance range at 1% for wholesale trading and 3% for other transactions for AY 2024-25, providing cla...

October 30, 2024 2499 Views 0 comment Print

Budget 2024: TPO can evaluate SDTs not reported by taxpayers

Income Tax : From April 2025, TPOs can determine ALP for SDTs not initially referred or reported. This ensures accurate adjustments and complia...

July 26, 2024 1155 Views 0 comment Print


Latest Judiciary


Captive Service Provider Entitled to Risk Adjustment; Nil ALP for Proven Intra-Group Services Rejected: ITAT Delhi

Income Tax : ITAT Delhi held that documentary evidence established receipt of intra-group administrative support services and that the 5% marku...

July 4, 2026 111 Views 0 comment Print

Forex loss from ECB & capital transactions is non-operating for TP purposes

Income Tax : ITAT held forex loss from ECB and capital transactions is non-operating for TP purposes and directed recomputation of PLI....

July 3, 2026 192 Views 0 comment Print

Higher Employee Remuneration Cannot Be Rejected Solely Due to Lower Revenue

Income Tax : ITAT held that increased employee remuneration cannot be disallowed merely because business revenue declined where the expenditure...

July 3, 2026 183 Views 0 comment Print

TP Addition Deleted as Management Support Services Proved Genuine

Income Tax : The ITAT Pune held that detailed agreements, invoices and supporting records established that management support services were act...

July 1, 2026 732 Views 0 comment Print

ITAT Delhi Excludes TPO Comparables for Functional Dissimilarity

Income Tax : ITAT excluded EDCIL, Just Dial, Info Edge and India Exposition Mart as transfer pricing comparables due to functional differences ...

July 1, 2026 153 Views 0 comment Print


Latest Notifications


Income Tax ALP Tolerance Range for AY 2025-26 Notified

Income Tax : Notification 157/2025 sets 1% tolerance for wholesale trading and 3% for all other cases for Arm's Length Price variation for AY 2...

November 6, 2025 5283 Views 0 comment Print

Amendment of Safe Harbour Rules for AY 2025-26 under Section 92CB

Income Tax : CBDT notifies Income Tax (Sixth Amendment) Rules, 2025, introducing safe harbour rules for assessment year 2025-26. Full details o...

March 25, 2025 5160 Views 0 comment Print

Tolerance Range for Arm’s Length Price in FY 2024-25

Income Tax : CBDT sets 1% tolerance for wholesale trading and 3% for other cases under Section 92C for FY 2024-25. No adverse effects from retr...

October 18, 2024 3459 Views 0 comment Print

Income-tax (Twenty-Ninth Amendment) Rules, 2023

Income Tax : Stay informed on the latest Income Tax Rule changes with Notification No. 104/2023 by the Ministry of Finance. Learn about amendme...

December 19, 2023 4701 Views 0 comment Print

CBDT extends applicability of Safe Harbour rules to AY 2023-24

Income Tax : Read how CBDT's Notification No. 58/2023 amends Income-tax Rules, extending Safe Harbour rules to AY 2023-24. Insights from Minist...

August 9, 2023 12906 Views 0 comment Print


Latest Posts in Transfer Pricing

Captive Service Provider Entitled to Risk Adjustment; Nil ALP for Proven Intra-Group Services Rejected: ITAT Delhi

July 4, 2026 111 Views 0 comment Print

ITAT Delhi held that documentary evidence established receipt of intra-group administrative support services and that the 5% markup was at arm’s length. The transfer pricing adjustment was accordingly deleted.

Forex loss from ECB & capital transactions is non-operating for TP purposes

July 3, 2026 192 Views 0 comment Print

ITAT held forex loss from ECB and capital transactions is non-operating for TP purposes and directed recomputation of PLI.

Higher Employee Remuneration Cannot Be Rejected Solely Due to Lower Revenue

July 3, 2026 183 Views 0 comment Print

ITAT held that increased employee remuneration cannot be disallowed merely because business revenue declined where the expenditure is justified and supported.

TP Addition Deleted as Management Support Services Proved Genuine

July 1, 2026 732 Views 0 comment Print

The ITAT Pune held that detailed agreements, invoices and supporting records established that management support services were actually rendered by the Associated Enterprise. It ruled that the payment was at arm’s length and deleted the entire transfer pricing adjustment.

ITAT Delhi Excludes TPO Comparables for Functional Dissimilarity

July 1, 2026 153 Views 0 comment Print

ITAT excluded EDCIL, Just Dial, Info Edge and India Exposition Mart as transfer pricing comparables due to functional differences and restored one comparable for verification.

Royalty TP Adjustment deleted as TNMM Accepted as Most Appropriate Method

July 1, 2026 117 Views 0 comment Print

The ITAT Ahmedabad held that royalty payments should continue to be benchmarked under TNMM by following earlier decisions in the assessees own case. It found no reason to replace TNMM with CUP where identical facts had already been decided. The Department’s transfer pricing challenge was therefore dismissed.

ITAT Deletes Brand Promotion TP Adjustment as Issue Was Already Settled in Earlier Years

July 1, 2026 99 Views 0 comment Print

ITAT upheld taxation of IPS and CEV subsidies following the Section 2(24) amendment, while partly allowing the appeal on other issues.

ITAT Allows Audited Segmental Results as DRP Rejected Them Without Evidence

July 1, 2026 78 Views 0 comment Print

The ITAT Mumbai held that the rejection of the assessees certified segmental results was unsupported by cogent material and based on surmises. It directed the TPO to consider the audited segmental accounts while benchmarking the international transaction.

TP Adjustment Rejected as Revenue Departed from Consistent Past Practice: Karnataka HC

July 1, 2026 111 Views 0 comment Print

The Karnataka High Court held that where the Revenue had consistently accepted the same interest rate in earlier and subsequent assessment years, it could not adopt a different approach for a single year without justification. The appeal challenging the ITAT’s order was dismissed.

ITAT Deletes TP Adjustment as Fixed Assets Written Off Were Not Operating Costs

June 30, 2026 111 Views 0 comment Print

ITAT deleted the TP adjustment, allowed 60% software depreciation, but upheld other disallowances, partly allowing the appeal.

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