Domestic Transfer Pricing in India
Specified Domestic Transactions (SDT) Under Section 92BA -- Documentation, Compliance and Assessment Defence
Domestic transfer pricing in India covers Specified Domestic Transactions (SDT) -- transactions between related Indian parties that exceed Rs 20 crore in aggregate during the financial year. These are subject to the arm's length standard and TP documentation requirements under Section 92BA of the Income Tax Act. Domestic TP was introduced from FY 2012-13 to prevent profit shifting between related domestic parties to exploit different tax rates -- such as transactions with an SEZ unit (tax holiday), a unit claiming Section 80-IC deduction, or an entity paying a lower MAT rate.
While domestic TP covers fewer transactions than international TP and involves no DTAA considerations, the documentation requirements, benchmarking methodology, and assessment process are broadly similar. Form 3CEB must also report SDTs. Our team provides complete domestic TP compliance -- SDT identification, documentation, Form 3CEB SDT schedules, and TPO assessment defence for domestic TP adjustments.
What Are Specified Domestic Transactions (SDT)?
| SDT Category | Section | Description |
|---|---|---|
| Payments to Related Parties under Section 40A(2)(b) | 92BA(i) | Payments to related persons (directors, relatives, partners, 20%+ shareholders) that are disallowable if not at arm's length |
| Transactions with SEZ Units | 92BA(iii) | Transactions with units enjoying deductions under Section 10AA (SEZ) where related entities shift profits to the tax-exempt SEZ unit |
| Transactions with Section 80-IB/IC/IE Units | 92BA(iv)/(v) | Transactions with units claiming industrial undertaking, hotel, hospital, or special category state deductions under Chapter VI-A |
| Interunit Transactions | 92BA(vi) | Transactions between the same entity's different units where one unit has a tax holiday, enabling profit shifting between units |
Our Domestic TP Services
SDT Identification and Scoping
Identification of all transactions meeting the SDT definition under Section 92BA and the Rs 20 crore aggregate threshold -- covering payments to related parties, transactions with tax holiday units, and other covered SDT categories.
Domestic TP Documentation
Preparation of TP documentation for SDTs -- functional analysis, method selection, Indian comparables benchmarking (Prowess, Capitaline), and ALP determination in the format prescribed under Rule 10D.
Form 3CEB SDT Schedules
Preparation and certification of SDT schedules in Form 3CEB (Schedules 32 and 33) -- covering all SDTs, methods used, and ALP determined -- filed with the income tax return by the due date.
Interunit Pricing Review
Review and documentation of pricing for transactions between different units/divisions of the same company -- particularly where one unit claims a tax holiday, enabling the TPO to challenge the allocation of profits between units.
Related Party Payment Analysis
Analysis of payments to related parties under Section 40A(2)(b) -- director remuneration, partner's commission, rent to relatives -- to ensure they are at arm's length and properly documented for SDT compliance.
Domestic TP Assessment Defence
Defence of domestic TP positions before the TPO in assessment proceedings -- TPO notice responses, hearing representation, and DRP objections for domestic TP adjustments proposed by the Transfer Pricing Officer.
Frequently Asked Questions
What is the threshold for domestic transfer pricing in India?
Do domestic TP provisions apply to transactions with SEZ units?
Are benchmarking and comparables required for domestic TP?
Have SDTs Above Rs 20 Crore? Ensure Your Domestic TP Compliance Is Complete.
SDT identification, domestic TP documentation, Form 3CEB SDT schedules, and assessment defence -- complete domestic TP services.
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