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Transfer pricing refers to the pricing of transactions between associated enterprises—such as parent companies, subsidiaries, or group entities—particularly when they operate across different tax jurisdictions. These intercompany transactions must comply with the arm’s length principle to prevent profit shifting and ensure tax fairness.
Our firm offers comprehensive transfer pricing services designed to help businesses comply with Indian Income Tax regulations and international best practices (OECD guidelines). We assist in evaluating, documenting, and defending the pricing of transactions involving goods, services, royalties, loans, and cost-sharing arrangements between related parties.
We begin with a functional, asset, and risk (FAR) analysis to understand the nature of intercompany transactions. Based on this, we determine the most appropriate method (e.g., CUP, TNMM, RPM) to benchmark your transactions and ensure they align with market-based pricing.
Our team prepares detailed Transfer Pricing Study Reports and supports clients in filing Form 3CEB. We also assist with country-by-country (CbC) reporting, master file and local file documentation, as required under Indian and global rules.
In case of scrutiny or litigation, we offer representation before tax authorities and provide expert defense and dispute resolution. We also advise on advance pricing agreements (APAs) and safe harbor rules to mitigate future risks.
Whether you're an MNC, export-oriented unit, or startup with foreign investors, our transfer pricing services ensure transparency, tax efficiency, and compliance. We help you avoid penalties, protect margins, and maintain smooth cross-border business operations.
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