Overview
Any business with related-party or cross-border transactions falls under India's transfer pricing rules, and getting the benchmarking wrong invites scrutiny that's expensive to unwind. We prepare defensible TP documentation built to withstand review by a Transfer Pricing Officer, not just to satisfy a filing requirement.
What's Included
- Functional, Asset, and Risk (FAR) analysis
- Benchmarking analysis across recognized databases
- TP Study Report preparation and Form 3CEB filing
- Transfer pricing method selection (CUP, TNMM, RPM, CPM, PSM)
- Representation before Transfer Pricing Officers
Our Approach
- Map all related-party and cross-border transactions in scope
- Conduct FAR analysis to identify the tested party and appropriate method
- Run comparability benchmarking against recognized databases
- Prepare audit-ready TP documentation and Form 3CEB
Who This Is For
Indian subsidiaries of multinational groups, exporters dealing with related entities, and businesses with intercompany arrangements of any size.