Transfer Pricing Consultants
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Transfer Pricing Consultants
At Team GBC, we are specialized Transfer Pricing Consultants providing expert solutions for domestic related-party transactions under Section 92BA of the Income Tax Act, 1961.
Our mission is to help businesses ensure full compliance with domestic transfer pricing laws, maintain robust documentation, and achieve tax efficiency while avoiding penalties and scrutiny from tax authorities.
We work closely with corporates, partnerships, and group entities to analyze, document, and justify intra-group pricing for goods, services, and shared resources within India.
โ๏ธ What Is Domestic Transfer Pricing?
Domestic Transfer Pricing (DTP) refers to the pricing of transactions between associated enterprises or related parties within India.
Introduced under Section 92BA of the Income Tax Act, these regulations ensure that
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related-party transactions are conducted at Armโs Length Price (ALP) โ the price that would be charged between unrelated parties in similar circumstances.
The aim is to prevent profit shifting, tax avoidance, and manipulation of taxable income among related domestic entities.
๐ Legal Framework
Domestic Transfer Pricing is governed by:
- Section 92BA to 92F of the Income Tax Act, 1961
- Rule 10A to 10E of the Income Tax Rules, 1962
- CBDT Circulars & Notifications on Armโs Length Principles
- OECD Guidelines (for international alignment)
Applicable for:
- Related party transactions under Section 40A(2)(b)
- Specified domestic transactions exceeding โน20 crore (threshold limit) in a financial year
๐งพ Examples of Specified Domestic Transactions (SDT)
- Transfer of goods or services between related domestic entities
- Payments made to related parties (directors, relatives, group concerns)
- Inter-unit transactions between eligible tax-holiday units (e.g., SEZ, 10AA) and non-eligible units
- Management or consultancy fees between related entities
- Royalty, rent, or commission payments to group firms
- Cost-sharing or expense allocations within related entities
๐งฎ Methods for Determining Armโs Length Price (ALP)
As per Rule 10B, ALP can be determined using:
Method | Description |
1. Comparable Uncontrolled Price (CUP) Method | Compares controlled transaction prices with similar uncontrolled transactions. |
2. Resale Price Method (RPM) | Used where goods purchased from a related entity are resold to an independent party. |
3. Cost Plus Method (CPM) | Adds an appropriate profit margin to the supplierโs cost. |
4. Profit Split Method (PSM) | Divides total profits from combined transactions among entities based on contribution. |
5. Transactional Net Margin Method (TNMM) | Compares operating margins with comparable independent entities. |
6. Other Method (Rule 10AB) | Any method providing reliable armโs length results. |
๐ Documents Required for Domestic Transfer Pricing Compliance
- List of Related Parties & Transaction Details
- Nature, Terms & Value of Each Transaction
- Functional Analysis (FAR Analysis) โ Functions performed, Assets used, Risks assumed
- Comparability Analysis with independent entities
- Method selection rationale & ALP computation
- Agreements/Contracts between related parties
- Audited Financial Statements of all concerned entities
- Tax Returns & Computation of Income
- Transfer Pricing Report (Form 3CEB) certified by a Chartered Accountant
๐งฉ Step-by-Step Process of Domestic Transfer Pricing Compliance
Step 1: Identify Specified Domestic Transactions
We review your group structure and financials to determine if your business crosses the โน20 crore SDT threshold.
Step 2: Functional, Asset & Risk (FAR) Analysis
We perform a detailed analysis of roles, resources, and risks across related entities.
Step 3: Select Most Appropriate Method (MAM)
Our experts identify the best method (CUP, TNMM, etc.) for determining Armโs Length Price.
Step 4: Benchmarking Analysis
We conduct industry-wide benchmarking using databases like Prowess, Capitaline, and Ace TP to determine fair market values.
Step 5: Documentation & Reporting
We prepare Transfer Pricing Documentation and file Form 3CEB, certified by a Chartered Accountant, within the due date.
Step 6: Audit & Representation Support
In case of scrutiny or queries from tax authorities, we provide complete audit and representation support before the Assessing Officer or CIT(A).
๐ Timeline & Due Dates
Activity | Due Date |
Preparation of TP Documentation | Before filing ITR |
Form 3CEB Filing | On or before the due date of ITR (usually 30th November) |
Retention of Records | Minimum 8 years from relevant assessment year |
๐ฐ Consultancy Fees (Indicative)
Entity Size | Approx. Fees (โน) |
Small/Medium Enterprises | โน50,000 โ โน1,00,000 |
Large Corporates (Multi-unit) | โน1,00,000 โ โน2,50,000 |
Benchmarking & TP Study | โน75,000 โ โน1,50,000 |
Representation & Audit Support | โน50,000 โ โน2,00,000 |
(Fees depend on number of transactions, industry, and complexity.)
โ Benefits of Domestic Transfer Pricing Compliance
- Ensures tax transparency and compliance with Section 92BA
- Prevents disallowance of related party expenses
- Helps avoid penalties under Section 271AA, 271BA, or 271G
- Strengthens credibility before tax authorities
- Enhances group-level tax efficiency and profitability
- Supports accurate inter-unit profit allocation
โ ๏ธ Penalties for Non-Compliance
Default | Relevant Section | Penalty |
Failure to maintain documentation | 271AA | 2% of the value of each transaction |
Non-filing of Form 3CEB | 271BA | โน1,00,000 |
Failure to furnish information during audit | 271G | 2% of transaction value |
๐๏ธ Regulatory Authorities
- Income Tax Department, Government of India
- Central Board of Direct Taxes (CBDT)
- Transfer Pricing Officer (TPO)
๐ง Industries We Serve
๐ญ Manufacturing & Engineering
๐๏ธ Real Estate & Infrastructure
๐ Pharma & Healthcare
๐ IT & Technology
๐ฆ Financial Services
๐ FMCG & Retail
๐ Logistics & Distribution
๐ Why Choose Team GBC for Transfer Pricing Compliance?
โ
Experienced CA & TP Specialists with expertise in domestic and international TP
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Comprehensive TP Documentation & Benchmarking Support
โ
End-to-End Compliance โ From Identification to Filing
โ
Audit Representation Before Tax Authorities
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Custom-Tailored Solutions for Every Industry
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Transparent Pricing & Timely Delivery
๐ Conclusion
Domestic Transfer Pricing compliance is not just a legal requirement โ itโs a strategic necessity for maintaining transparency, minimizing tax risks, and ensuring sustainable profitability.
At Team GBC, we simplify complex TP regulations through clear documentation, accurate benchmarking, and professional representation.
๐ Contact Team GBC today for expert Domestic Transfer Pricing Advisory, Documentation, and Compliance Services โ and ensure your intra-group transactions are 100% compliant and audit-ready.
๐ผ Team GBC โ Your Trusted Partner for Domestic Transfer Pricing, Benchmarking & Compliance Solutions in India.