Reminder for International Businesses: Transfer Pricing Deadline in India is Near!
Oct 11, 2024
VMPL
New Delhi [India], October 11: Businesses with operations in India or conducting transactions with related parties there should be aware of upcoming transfer pricing deadlines. The Income Tax Act, 1961, outlines regulations for these transactions, and all such activity must be reported by October 31, 2024 using Form 3CEB.
This reporting requirement applies to all business entities, including proprietorships, firms, LLPs, and companies.
Transfer pricing regulations ensure fair pricing for transactions between related parties. Failing to comply can lead to tax adjustments and penalties.
Key Points for Businesses:
* All transactions with related parties in India, regardless of value, must be reported by October 31st.
* For international transactions exceeding INR 1 Crore, detailed documentation explaining the transaction and pricing rationale is required.
* Businesses should review existing agreements with related parties and ensure pricing aligns with "arm's length" principles, reflecting market value for similar transactions between unrelated parties.
Ensuring Compliance:
Effective planning and structuring of transactions, coupled with determining arm's length prices before agreements, are crucial for strong corporate governance and tax compliance.
About TPverse
TPverse is a leading firm specializing in transfer pricing. They offer a range of services to help you navigate these regulations, including Value Chain Analysis, Advisory Services, Global & Local Compliance Assistance, Global & India Benchmarking Studies, Mutual Agreement Procedure Support, Advance Pricing Agreement Assistance and Litigation Management.
Visit TPVerse's website at https://tpverse.in for more details on their services.
For assistance with transfer pricing in India or across multiple countries, contact TPVerse at pro@TruVerse.in or +91 72002 40550.
(ADVERTORIAL DISCLAIMER: The above press release has been provided by VMPL. ANI will not be responsible in any way for the content of the same)