Transfer Pricing -- Dispute Resolution Panel (DRP) in India
Section 144C DRP Objections, Hearings and Directions for TP and International Tax Disputes
The Dispute Resolution Panel (DRP) is a collegium of three Principal Commissioners of Income Tax established under Section 144C to provide faster, expert dispute resolution for eligible assesses -- foreign companies, and Indian companies with international transactions -- who receive a draft assessment order with a proposed variation (TP adjustment or other addition). The DRP provides a significant advantage over the CIT(A) route for TP disputes: its commissioners have technical TP expertise, proceedings allow submission of additional comparables and economic analysis not presented to the TPO, and its statutory timeline (9 months) is considerably faster than the standard appeals process.
When a draft assessment order arrives, the taxpayer must choose within 30 days whether to file with the DRP or proceed to CIT(A) after the final assessment order. This is an irrevocable choice. Our team provides complete DRP representation from objection filing through the hearing, directions analysis, and subsequent ITAT appeal.
DRP Process Under Section 144C
| Step | Action | Timeline |
|---|---|---|
| 1. Draft Assessment Order | AO passes draft order with proposed TP additions and serves it on taxpayer | After TPO order |
| 2. DRP Objection Filing | Taxpayer files objections (Form 35A) with DRP electronically | Within 30 days of draft order |
| 3. DRP Proceedings | DRP issues notices, calls for information, conducts hearings with AO and taxpayer | After filing of objections |
| 4. DRP Directions | DRP issues binding directions to AO specifying proper ALP and additions | Within 9 months of DRP application |
| 5. Final Assessment Order | AO passes final assessment order per DRP directions; demand notice issued | Within 1 month of DRP directions |
| 6. ITAT Appeal | Taxpayer or AO (with PCIT approval) may appeal to ITAT against final order | Within 60 days of final order |
Our DRP Services
DRP Objection Drafting
Comprehensive DRP objection documents covering every ground of addition in the draft assessment order -- TP adjustments, PE attribution, treaty applicability, withholding tax issues -- with supporting analysis and judicial precedents.
Additional Comparables Submission
Refreshed benchmarking with updated comparables data and additional comparables not submitted to the TPO -- strengthening the arm's length case with more recent and functionally superior companies.
Economic Analysis for DRP
Preparation of economic analysis papers for DRP -- characterisation analysis, functional adjustments, working capital adjustments, extraordinary items analysis, and economic comparability assessment of the TPO's proposed comparables.
DRP Hearing Representation
Oral representation at DRP hearings -- presenting arguments on TP methodology, comparables selection, functional characterisation, and legal precedents to the three-member DRP bench.
DRP Directions Analysis
Detailed analysis of DRP directions to identify grounds for ITAT appeal, computation of tax and interest impact, and cash flow planning recommendations for the post-DRP assessment demand.
Joint DRP and MAP Strategy
Advisory on running DRP and Mutual Agreement Procedure (MAP) proceedings simultaneously for cross-border TP disputes involving double taxation risk in treaty partner countries.
Frequently Asked Questions
Who is eligible to file an objection with the DRP?
Can a taxpayer submit new evidence at the DRP stage?
Are DRP directions binding on the taxpayer?
Received a Draft Assessment Order? File Your DRP Objection Within 30 Days.
Our TP team drafts comprehensive DRP objections with updated comparables, economic analysis, and legal precedents -- and represents you at DRP hearings.
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