Follow Us:

Transfer Pricing

Latest Articles


Captive Service Providers in Transfer Pricing: Benchmarking Principles

Income Tax : Captive service providers operate with limited risk and must be benchmarked differently from entrepreneurial companies. The analys...

March 12, 2026 258 Views 0 comment Print

Transfer Pricing – Cost Plus Method – Complete Illustration

Income Tax : A detailed numerical illustration shows how the Cost Plus Method determines ALP for manufacturing transactions. The transfer price...

March 9, 2026 528 Views 0 comment Print

Transfer Pricing: CUP Analysis Market Condition Adjustments: Thailand Vs. Vietnam

Income Tax : The benchmark price was incorrectly determined because material economic differences between Thailand and Vietnam markets were not...

March 7, 2026 624 Views 0 comment Print

Recharacterising Offshore Transactions: India’s Evolving Stand under Sections 9 & 195

Income Tax : Indian tax authorities increasingly apply substance-over-form principles to offshore transactions, especially in source taxation a...

February 23, 2026 258 Views 0 comment Print

Budget 2026 Transfer Pricing: Unified Safe Harbours, Faster APAs & Ease of Litigation

Income Tax : The government introduces unified safe harbours, faster APAs, and reduced litigation burdens to enhance certainty for multinationa...

February 20, 2026 639 Views 0 comment Print


Latest News


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 429 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 8088 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 2076 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 993 Views 0 comment Print

FAQ’s on filing of Income Tax Form 3CEB

Income Tax : What is the procedure to approve Form 3CEB? Form uploaded by CA shall be available under For your action tab in Taxpayer’s Workl...

October 28, 2022 15456 Views 0 comment Print


Latest Judiciary


No Section 270A(8) Penalty for TP Adjustment Without Proof of Deliberate Concealment: Madras HC

Income Tax : The court held that transfer pricing adjustments cannot automatically be treated as misreporting of income. Without evidence of de...

March 13, 2026 189 Views 0 comment Print

No TP Adjustment on AE Receivables as Company Charged No Interest from Both AE and Non-AE Customers

Income Tax : The Tribunal removed the transfer pricing addition on delayed receivables from associated enterprises, holding that the company’...

March 5, 2026 141 Views 0 comment Print

TPO Order Quashed as Failure to Share Comparable Agreements Violated Natural Justice: Delhi HC

Income Tax : The Court quashed the TPO’s order after finding that copies of agreements relied upon were not supplied, holding that denial of ...

February 23, 2026 186 Views 0 comment Print

Section 263 Revision Quashed as Safe Harbour Rule of 10% Held Retrospective: ITAT Raipur

Income Tax : ITAT held that the 10% tolerance band under property valuation provisions applies retrospectively. The PCIT’s revision was set a...

February 12, 2026 234 Views 0 comment Print

Bombay HC Allowed Additional Transfer Pricing Ground as AE Treated Tested Party

Income Tax : The Bombay High Court upheld the ITAT’s decision to admit an additional TP ground allowing reconsideration of AEs as the tested ...

February 6, 2026 267 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 4557 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 4107 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 3012 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 4353 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 12573 Views 0 comment Print


Latest Posts in Transfer Pricing

No Section 270A(8) Penalty for TP Adjustment Without Proof of Deliberate Concealment: Madras HC

March 13, 2026 189 Views 0 comment Print

The court held that transfer pricing adjustments cannot automatically be treated as misreporting of income. Without evidence of deliberate concealment, penalty under Section 270A cannot be imposed.

Captive Service Providers in Transfer Pricing: Benchmarking Principles

March 12, 2026 258 Views 0 comment Print

Captive service providers operate with limited risk and must be benchmarked differently from entrepreneurial companies. The analysis explains why TNMM and cost-plus returns are the appropriate methods.

Transfer Pricing – Cost Plus Method – Complete Illustration

March 9, 2026 528 Views 0 comment Print

A detailed numerical illustration shows how the Cost Plus Method determines ALP for manufacturing transactions. The transfer price exceeded the permissible tolerance range, resulting in a transfer pricing adjustment.

Transfer Pricing: CUP Analysis Market Condition Adjustments: Thailand Vs. Vietnam

March 7, 2026 624 Views 0 comment Print

The benchmark price was incorrectly determined because material economic differences between Thailand and Vietnam markets were not adjusted under the CUP method.

No TP Adjustment on AE Receivables as Company Charged No Interest from Both AE and Non-AE Customers

March 5, 2026 141 Views 0 comment Print

The Tribunal removed the transfer pricing addition on delayed receivables from associated enterprises, holding that the company’s profit margins exceeded comparable companies and interest was already embedded in pricing.

TPO Order Quashed as Failure to Share Comparable Agreements Violated Natural Justice: Delhi HC

February 23, 2026 186 Views 0 comment Print

The Court quashed the TPO’s order after finding that copies of agreements relied upon were not supplied, holding that denial of such documents violated the taxpayer’s right to defend.

Recharacterising Offshore Transactions: India’s Evolving Stand under Sections 9 & 195

February 23, 2026 258 Views 0 comment Print

Indian tax authorities increasingly apply substance-over-form principles to offshore transactions, especially in source taxation and withholding obligations.

Budget 2026 Transfer Pricing: Unified Safe Harbours, Faster APAs & Ease of Litigation

February 20, 2026 639 Views 0 comment Print

The government introduces unified safe harbours, faster APAs, and reduced litigation burdens to enhance certainty for multinational enterprises.

Reading ‘Benefit’ Test into ALP Determination: Ignoring Established Rules

February 19, 2026 540 Views 0 comment Print

Reading The ‘Benefit’ Test Into Arm’s Length Price Determination: Throwing The Rulebook Out The Window 1. INTRODUCTION: Transfer Pricing Law, at its core, strikes at the distortion of ordinary business transactions, that occurs when related parties transact on terms inconsistent with competitive market conditions. Reportedly resorted to by Multinational Corporations in some instances, related-party transactions […]

Section 263 Revision Quashed as Safe Harbour Rule of 10% Held Retrospective: ITAT Raipur

February 12, 2026 234 Views 0 comment Print

ITAT held that the 10% tolerance band under property valuation provisions applies retrospectively. The PCIT’s revision was set aside as it amounted to a change of opinion.

Search Post by Date
March 2026
M T W T F S S
 1
2345678
9101112131415
16171819202122
23242526272829
3031