Related-party transactions attract close scrutiny. KNAP Advisory handles your transfer pricing study, documentation and Form 3CEB so your pricing stands up to assessment.
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Transfer pricing governs the pricing of transactions between associated enterprises — for example, between a parent company and its subsidiary. Indian tax law requires these transactions to meet the arm’s length principle, meaning they should be priced as they would be between unrelated parties.
Compliance involves selecting an appropriate method, benchmarking the transactions, maintaining documentation and filing Form 3CEB. Mistakes can lead to large adjustments and penalties. KNAP Advisory manages the entire transfer pricing cycle with rigour and care.
Defensible pricing reduces the risk of costly tax additions.
Proper documentation protects against steep penalties.
A strong study supports you during scrutiny.
Consistency with international transfer pricing norms.
A clear view of your inter-company pricing position.
Form 3CEB filed within statutory timelines.
We identify all related-party and covered transactions.
We select the method and carry out comparability analysis.
We prepare the study report and required documentation.
We issue and file Form 3CEB within the due date.
Sound methodology and robust benchmarking.
Documentation built to withstand scrutiny.
From study to filing to assessment support.
It is the pricing of transactions between associated enterprises, which Indian law requires to be at arm’s length.
Businesses with international related-party transactions, and certain specified domestic transactions above thresholds.
It is an accountant’s report certifying details of international and specified domestic transactions, filed annually.
It requires related-party transactions to be priced as if between independent parties, backed by benchmarking.
Prescribed documentation including transaction details, the method used and benchmarking analysis to justify pricing.
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Phone: +91 93119 72982
Email: hello@knapadvisory.com
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