Businesses engaged in cross-border or domestic related-party transactions must maintain robust Transfer Pricing documentation to justify pricing and profit allocation. Proper benchmarking establishes that transactions are conducted at an Arms Length Price (ALP), minimizing scrutiny and preventing potential tax adjustments.
We ensure full compliance with Income Tax Act, OECD guidelines, and BEPS Action Plans through structured and accurate documentation support.
Preparation of detailed Local File & Master File
Benchmarking using reliable databases & analytical tools
Functional, asset, and risk (FAR) profiling
Inter-company pricing policy review & recommendations
Filing Form 3CEB with supporting documentation
Audit-ready reporting & litigation support
Comparable Uncontrolled Price (CUP)
Transactional Net Margin Method (TNMM)
Cost Plus Method
Resale Price Method
Profit Split Method
Financials and trial balances
Inter-company agreements & transaction data
Industry and operational information
TP Study and Benchmarking Report
Filed compliance documentation
Guidance for future compliance alignment
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