Transfer Pricing
Advisory and compliance services related to transfer pricing regulations for international and specified domestic transactions between associated enterprises.

R V K & Associates
We believe in going beyond the fundamentals to provide comprehensive, strategic solutions for your business needs. Our approach involves fostering strong relationships, staying informed about the latest developments, and ensuring that all regulatory requirements are met. Whether you're starting a new venture or managing an established business, we focus on guiding you through complex challenges with a commitment to accuracy, compliance, and long-term success.
Services Details
Transfer pricing refers to the pricing of transactions between associated enterprises (domestic or international) that are under common control or ownership. These transactions must adhere to the “arm’s length principle” to ensure tax neutrality and fairness. R V K & Associates provides advisory, documentation, and compliance support under Indian transfer pricing laws, minimizing litigation risk and ensuring alignment with international standards.
Applicability of Transfer Pricing Provisions:
Transfer pricing regulations apply to the following types of transactions:
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International transactions with associated enterprises (AEs) outside India
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Specified domestic transactions, including those between related parties exceeding the prescribed monetary thresholds
Our Transfer Pricing Services Include:
1. Transfer Pricing Study & Documentation:
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Identification of associated enterprises and controlled transactions
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Functional, Asset, and Risk (FAR) analysis
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Selection of the most appropriate method (Comparable Uncontrolled Price, Cost Plus, Resale Price, TNMM, etc.)
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Benchmarking using external databases and comparables
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Preparation of transfer pricing documentation in accordance with Rule 10D of the Income Tax Rules
2. Transfer Pricing Audit and Compliance:
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Review of existing transfer pricing practices and policies
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Filing of Form 3CEB (transfer pricing report) as required under Section 92E of the Income Tax Act
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Assistance during transfer pricing assessments or audits by tax authorities
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Responses to notices and representation before tax officers
3. Advisory on Transaction Planning:
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Guidance on pricing strategies for inter-company transactions
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Risk mitigation through advance planning and documentation
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Transfer pricing impact on cross-border royalty, interest, management fees, and intra-group services
4. Support for Litigation and Dispute Resolution:
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Preparation of responses to Transfer Pricing Officer (TPO) queries
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Representation before tax authorities and appellate forums
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Advisory on Mutual Agreement Procedure (MAP) and Advance Pricing Agreements (APA)
Transfer Pricing Documentation Includes:
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Overview of the group and industry analysis
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Nature and terms of controlled transactions
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Economic analysis and selection of comparables
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Justification of arm’s length price
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Supporting documentation as required under the Income Tax Act
Regulatory Framework:
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Governed by Sections 92 to 92F of the Income Tax Act, 1961
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Detailed requirements under Income Tax Rules and CBDT guidelines
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Aligned with OECD Transfer Pricing Guidelines where applicable
Working with R V K & Associates
- Commitment to Excellence: We prioritize delivering solutions that maintain the highest standards of quality and precision.
- Transparency and Integrity: Building trust and maintaining clear, open communication is at the core of our approach.
- Cost Efficiency: Our solutions help reduce operational costs by optimizing resources and minimizing inefficiencies.
- Streamlined Business Operations: By handling key aspects of your business needs, we allow you to focus on your core competencies and growth.
- Compliance Assurance: We ensure your organization remains up-to-date with all regulatory requirements, mitigating risk and ensuring smooth operations.