Transfer Pricing
Transfer Pricing Compliance, Assessment and Litigation.
Service Description
The Indian Transfer Pricing Code prescribes that income arising from international transactions or specified domestic transactions between associated enterprises beyond a specified value should be computed having regard to the arm’s-length price. Since the introduction of the code, Transfer pricing has become the most important international tax issue affecting multinationals operating in India. We offer our client end to end assistance in addressing this issue. Services Covered: - Preparing of TP study - Assistance in Income tax assessment and re-assessment– drafting submissions and representation - Assistance in Income tax faceless appeals before CIT(A)– drafting appeals, submissions and representation. - Assistance in Income tax faceless objections before DRP– drafting objections, submissions and representation. - Assistance in preparing and filing appeal with ITAT and subsequent representation. Who is it for: - Domestic Company - Foreign Company - Partnership Firm/ LLP - Any other entity such as a Society/Trust/Institute