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1 TRANSFER PRICING. 2 Introduction to Transfer Pricing Transfer Pricing Litigation Statistics Introduction to Domestic Transfer Pricing Section 40A(2)(b),

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Presentation on theme: "1 TRANSFER PRICING. 2 Introduction to Transfer Pricing Transfer Pricing Litigation Statistics Introduction to Domestic Transfer Pricing Section 40A(2)(b),"— Presentation transcript:

1 1 TRANSFER PRICING

2 2 Introduction to Transfer Pricing Transfer Pricing Litigation Statistics Introduction to Domestic Transfer Pricing Section 40A(2)(b), 80A, 80IA(8) & 80IA(10) Relationships, Issues & Challenges Domestic Transfer Pricing - Compliances Information and Documentation Requirements Transfer Pricing Compliances and Penalties on Default Applicability of TP Regulations to Domestic TP transactions

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16 16 SPECIFIED DOMESTIC TRANSACTIONS Section 40A Expenditure paid or to be paid to related party as defined under section 40A(2)(b) Section 80A Inter unit transfer of goods and services as referred to in section 80IA(8) Transaction between the tax payer and any other person owing to close connection as referred to in section 80IA(10) where more than ordinary profits are earned by business unit claiming tax holiday/deduction Section 10AA Any transaction under Chapter VIA or Section 10AA to which the provisions of 80IA (8) and 80IA(10) apply: - inter-unit transfers - more than ordinary profits earned by tax holiday/ exemption unit

17 17 SPECIFIED DOMESTIC TRANSACTIONS – COMMON TRANSACTIONS Payment for purchase of goods Transfer of machinery, technology, etc Sharing of common costs Job work charges Payment of interest /royalty charges, marketing expenses Transfer of goods from one unit to another (in specific cases) Payment made to key personnel/relatives, training service, sitting fees Rent charged Payment for procurement of services Reimbursement of expenditure Guarantee fee expenditure

18 18 THRESHOLD LIMIT & COVERAGE Domestic Transfer Pricing is applicable only where the aggregate value of all the Specified Domestic Transactions crosses 5 Crs While computing the aggregate value of transactions: – Value of the International transactions to be excluded – Value of transactions between 2 units of the same company to be covered (when undertaken with a tax holiday unit) – Inter-company transactions to be covered (when undertaken with a company having a tax holiday unit) – Transactions with a person having a close connection as mentioned in section 80IA(10) to be covered – Payment of expenses to related person defined under section 40A(2)(b) to be covered

19 19 DOMESTIC TRANSFER PRICING SECTION 40A(2)(b), 80A, 80IA(8) & 80IA(10) RELATIONSHIPS, ISSUES & CHALLENGES

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26 26 Back…

27 27 Member

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32 32 DOMESTIC TRANSFER PRICING COMPLIANCES

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36 36 INFORMATION & DOCUMENTATION REQUIREMENTS

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40 40 TRANSFER PRICING COMPLIANCES & PENALTIES ON DEFAULT

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42 42 APPLICABILITY OF TRANSFER PRICING REGULATIONS TO DOMESTIC TRANSFER PRICING TRANSACTIONS

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44 44 WAY FORWARD

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