Transfer Pricing Services in India
Transfer pricing compliance is not optional for businesses dealing with related parties. Whether it’s cross-border transactions or specified domestic transactions, incorrect pricing, weak documentation, or missed filings can quickly lead to heavy adjustments, penalties, and prolonged litigation.
At N D Savla & Associates, we provide end-to-end transfer pricing services in India, covering planning, documentation, compliance, audits, and dispute support. Our approach is technical, practical, and aligned with Indian regulations and global best practices.
What Is Transfer Pricing?
Transfer pricing refers to pricing of transactions between related parties, such as:
Parent and subsidiary companies
Group entities across different countries
Entities under common control
Indian transfer pricing regulations require such transactions to be conducted at arm’s length price (ALP) and supported by proper documentation.
When Is Transfer Pricing Applicable in India?
Transfer pricing provisions apply if you have:
International transactions with associated enterprises
Specified domestic transactions crossing prescribed thresholds
Cross-border services, royalty, interest, or cost-sharing arrangements
Inter-company purchase or sale of goods
Both Indian companies and foreign entities operating in India are covered.
Our Transfer Pricing Services:
Transfer Pricing Study & Documentation
We prepare comprehensive transfer pricing study reports, including:
Functional, asset, and risk (FAR) analysis
Selection of most appropriate method
Comparable company search and benchmarking
Economic analysis and ALP computation
Documentation compliant with Indian TP rules
Reports are prepared to withstand scrutiny during audits.
Transfer Pricing Planning & Advisory
We assist with:
Structuring inter-company transactions
Pricing models and policy formulation
Review of existing arrangements
Risk identification and mitigation
Alignment with business and tax objectives
The focus is on proactive compliance, not post-notice correction.
Transfer Pricing Audit & Assessment Support
If your case is selected for audit, we handle:
Replies to transfer pricing notices
Representation before Transfer Pricing Officer (TPO)
Submission of documentation and benchmarking analysis
Technical explanations during assessment proceedings
TP Adjustments & Litigation Support
We assist in:
Draft order review and objection preparation
Representation before DRP and appellate authorities
Support during income tax assessment and appeals
Resolution of disputes arising from TP adjustments
Compliance & Reporting Support
We handle:
Form 3CEB certification coordination
Review of inter-company agreements
Year-end compliance checks
Ongoing transaction monitoring
Who Needs Transfer Pricing Services?
Multinational companies operating in India
Indian companies with overseas subsidiaries or group entities
Startups with foreign parent companies
Companies receiving or providing group services
Businesses involved in royalty, licensing, or cost-sharing arrangements
Why Choose N D Savla & Associates?
Strong technical expertise in Indian transfer pricing law
Practical, audit-ready documentation
Experience in handling TP audits and assessments
Clear communication with management and stakeholders
End-to-end support from planning to litigation
We don’t just prepare reports. We help you defend them.
FAQs – Transfer Pricing Services in India
Is transfer pricing documentation mandatory in India?
Yes. If you have covered international or specified domestic transactions, documentation is mandatory.
What happens if transfer pricing documentation is not maintained?
Non-compliance can lead to heavy penalties and adverse adjustments.
Do startups need transfer pricing compliance?
Yes, if they have transactions with foreign parents or group entities.
Can transfer pricing reports be revised later?
Documentation should be prepared contemporaneously, but corrective steps can be taken during assessments if required.
Do you handle transfer pricing audits and appeals?
Yes. We assist with audits, DRP proceedings, and appellate support.