Transfer Pricing

Transfer pricing is an increasingly complex and critical area of taxation that requires specialized expertise and knowledge.JMCO offers a comprehensive range of transfer pricing services to help businesses comply with the transfer pricing regulations and optimize their tax positions.

Our transfer pricing services include:

Determination of Arms Length Price as per IT Act 1961:
We assist our clients in determining the appropriate arms-length price for their cross-border transactions in compliance with the Indian Income Tax Act, 1961. Our team of experts uses a variety of transfer pricing methods, including the Comparable Uncontrolled Price (CUP) method, the Resale Price method, and the Transactional Net Margin Method (TNMM), to determine the arms-length price of the transactions.

Accountants Report u/s 92E of the Act:
We provide the necessary documentation and compliance services required under Section 92E of the Income Tax Act, 1961. Our team of experts will prepare the Accountant's Report, which is required to be filed with the tax authorities in India, ensuring that it is complete, accurate, and in compliance with the applicable regulations.

Transfer Pricing Planning and Advisory:
We provide transfer pricing planning and advisory services to help businesses optimize their tax positions and mitigate risks. Our team of experts will work with you to develop a transfer pricing strategy that is tailored to your business objectives and that takes into account the relevant tax laws and regulations.

Transfer Pricing Audit and Controversy:
We represent our clients in transfer pricing audits and controversies, including Advance Pricing Agreements (APAs), Mutual Agreement Procedures (MAPs), and litigation. Our team of experts will assist you in responding to transfer pricing inquiries, defending your transfer pricing positions, and negotiating favorable settlements.

 
     
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