Transfer Pricing Laws in India
Sections 92 to 92F of the Income Tax Act - Arm's Length Principle, AEs and TP Compliance Framework
Transfer pricing laws in India govern the pricing of transactions between associated enterprises (AEs) -- related parties such as parent companies, subsidiaries, joint ventures, and group entities. Introduced through the Finance Act 2001 by inserting Sections 92 to 92F in the Income Tax Act 1961, these provisions require all international transactions and specified domestic transactions between AEs to be priced at the arm's length price (ALP) -- the price that would have been charged between unrelated parties in comparable conditions. The objective is to prevent profit shifting from high-tax jurisdictions (like India) to low-tax territories.
India's TP regulations are aligned with the OECD Transfer Pricing Guidelines and BEPS Action Plans. Non-compliance results in TP adjustments, penalties of up to 2% of transaction value under Section 271AA, and interest on the resulting tax demand. Our team advises on the complete TP legal framework -- from AE identification and international transaction scoping to DRP, TPO assessment defence, and APA applications.
Key Provisions of Indian Transfer Pricing Law
| Section | Subject | Key Provision |
|---|---|---|
| Section 92 | Arm's Length Price | All international transactions between AEs must be at arm's length; income computed accordingly |
| Section 92A | Associated Enterprise | Defines 13 criteria for determining when two enterprises are "associated" for TP purposes |
| Section 92B | International Transaction | Broadly covers goods, services, IP, financing, cost sharing, and business restructuring |
| Section 92C | ALP Methods | Prescribes 6 methods: CUP, RPM, CPM, PSM, TNMM, Other; most appropriate method to be used |
| Section 92CA | TPO Reference | AO may refer TP cases to the Transfer Pricing Officer (TPO) for independent determination of ALP |
| Section 92CB | Safe Harbour | CBDT may prescribe safe harbour circumstances where the ALP is not questioned |
| Section 92CC/CD | Advance Pricing Agreement | Taxpayer may enter APA with CBDT to fix the ALP for future transactions (up to 5 years) |
| Section 92D | Documentation | Mandatory maintenance of prescribed TP documentation (Master File, Local File) |
| Section 92E | Accountant Report | Form 3CEB (CA-certified TP report) must be filed if international transactions exceed Rs 1 crore |
| Section 92F | Definitions | Defines arm's length price, enterprise, permanent establishment, property, and transaction |
Our Transfer Pricing Law Advisory Services
AE Relationship Analysis
Analysis of associated enterprise relationships under Section 92A -- identifying which group entities qualify as AEs for India TP purposes and which transactions are consequently covered.
International Transaction Scoping
Identification of all international transactions under Section 92B -- goods, services, IP licensing, loans, guarantees, cost sharing, and business restructuring -- that require TP documentation.
Specified Domestic Transaction Advisory
Advisory on Specified Domestic Transactions (SDT) under Section 92BA -- payments to related parties and transactions with tax holiday units exceeding Rs 20 crore requiring domestic TP compliance.
Safe Harbour Analysis
Analysis of CBDT Safe Harbour Rules to determine whether the taxpayer's transactions and margins qualify -- avoiding the need for benchmarking and TP adjustments for eligible transaction categories.
APA Advisory
Advisory on Advance Pricing Agreement applications -- unilateral, bilateral, and multilateral APAs -- providing CBDT certainty on ALP for covered transactions for up to 5 future years.
Penalty and Litigation Advisory
Advisory on TP penalties under Sections 270A and 271AA, and litigation strategy for TP adjustments -- including DRP, ITAT appeals, and mutual agreement procedure.
Frequently Asked Questions
When do transfer pricing laws apply in India?
What is the arm's length price in Indian transfer pricing?
What are the penalties for transfer pricing non-compliance in India?
Need Transfer Pricing Law Advisory? Our TP Specialists Are Here.
AE analysis, international transaction scoping, APA applications, safe harbour analysis, and TP litigation strategy -- handled by our specialist transfer pricing team.
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