Transfer Pricing Audit in India
TPO Reference, TP Scrutiny, Draft Assessment Orders and Appeal Defence Under Section 92CA
A transfer pricing audit in India begins when the Assessing Officer (AO) refers the taxpayer's international transactions to the Transfer Pricing Officer (TPO) under Section 92CA. The TPO independently examines the arm's length nature of transactions, issues information notices, conducts hearings, and passes a TP order determining the ALP. If the TPO's ALP differs from the taxpayer's ALP, a TP adjustment is proposed in the draft assessment order. The taxpayer can then file objections before the Dispute Resolution Panel (DRP) or approach the Commissioner (Appeals), with further appeals available at ITAT, High Court, and Supreme Court.
TP audits require deep expertise in comparable selection, functional analysis, economic arguments, and OECD TP guidelines. Our team provides complete TP audit defence support -- from the first TPO notice through final ITAT order.
Transfer Pricing Audit Process in India
| Stage | Authority | Key Activity | Timeline |
|---|---|---|---|
| TP Reference | Assessing Officer | AO refers international transactions to TPO under Section 92CA | During scrutiny assessment |
| TPO Proceedings | Transfer Pricing Officer | TPO issues notices, conducts hearings, passes TP order | Within 60 days of assessment deadline |
| Draft Assessment Order | Assessing Officer | AO incorporates TPO's ALP and issues draft assessment order | After TPO order |
| DRP Objections | Dispute Resolution Panel | Taxpayer files objections within 30 days of draft order | 30 days from draft order |
| DRP Directions | Dispute Resolution Panel | DRP issues directions; AO passes final assessment order | 9 months from DRP application |
| ITAT Appeal | Income Tax Appellate Tribunal | Taxpayer appeals final assessment order | 60 days from final order |
Our Transfer Pricing Audit Services
TPO Notice Response
Drafting detailed responses to TPO information notices -- functional analysis, comparables justification, economic arguments, and all required documentation to defend the taxpayer's ALP determination before the TPO.
TP Hearings Representation
Representation at TPO hearings -- presenting oral arguments, responding to the TPO's comparables and adjustment proposals, and defending the taxpayer's TP methodology and margin analysis.
Draft Assessment Order Analysis
Detailed review of the draft assessment order to identify erroneous TP adjustments -- functional characterisation errors, incorrect comparables, inadmissible adjustments -- and strategising the DRP objection.
DRP Objections
Drafting and filing of comprehensive DRP objections with economic analysis, legal precedents, comparable data, and OECD guideline references to challenge the proposed TP adjustment.
TP Risk Review
Pre-audit TP risk review -- analysing existing documentation and benchmarking for potential TPO challenges and recommending strengthening measures before a scrutiny notice is received.
ITAT TP Appeals
Filing and arguing TP appeals at the Income Tax Appellate Tribunal -- paper books, written submissions, and oral arguments to challenge TP adjustments upheld by the DRP or CIT(A).
Frequently Asked Questions
What triggers a transfer pricing audit in India?
Can the TPO examine transactions not referred by the AO?
How long does a transfer pricing audit typically take in India?
Facing a Transfer Pricing Audit? Our TP Litigation Team Is Ready.
TPO notice responses, DRP objections, ITAT appeals, and complete TP audit defence -- handled by our specialist team.
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