Direct Tax
Study, documentation, Form 3CEB and representation for related-party deals.

Overview
Transactions between associated enterprises must meet the arm's-length standard. We benchmark your international and specified domestic transactions, prepare robust documentation and file Form 3CEB.
Where transfer pricing is questioned, we represent you before the Transfer Pricing Officer and in appeals.
Review
Assess your tax position, exposures and planning opportunities.
Comply
File returns, audits and withholding statements accurately and on time.
Optimise
Apply legitimate planning to reduce effective tax within the law.
Defend
Represent you through assessments and appeals if questions arise.
FAQ
Any entity with international transactions with associated enterprises, and certain specified domestic transactions above threshold.
An accountant's report certifying the arm's-length nature of related-party transactions; it must be filed by the due date.
Using the most appropriate method (TNMM, CUP, etc.) supported by a benchmarking study, which we prepare and defend.
Share your situation and we'll tell you exactly what's needed, the timeline and the fee — before you commit to anything.