Transfer Pricing & International Taxation
We assist companies in structuring cross border transactions and contracts to conform to arm's length pricing keeping in view international tax and transfer pricing regulations. We conduct comparability analysis and prepare transfer pricing study reports as per the provisions of transfer pricing contained in Income Tax Act, 1961 and OECD guidelines. Further, we analyse domestic transfer pricing issues in Indian corporates so as to conform to arm's length requirements as per transfer pricing regulations in India. Being Chartered Accoutants, certification of such transactions is provided by us in Form 3CEB to Indian revenue authorities. Besides this, we analyse Permanent Establishment ('PE') related issues and prepare profit attribution studies and reports for cross border transactions as per OECD guidelines. We also handle and represent companies in assessments and appellate proceedings pertaining to transfer pricing issues.