Preview

Transfer Pricing in India

Powerful Essays
Open Document
Open Document
1207 Words
Grammar
Grammar
Plagiarism
Plagiarism
Writing
Writing
Score
Score
Transfer Pricing in India
Transfer Pricing in India

1. Introduction
Increasing participation of multi-national groups in economic activities in India has given rise to new and complex issues emerging from transactions entered into between two or more enterprises belonging to the same group. Hence, it was pertinent to introduce a uniform and internationally accepted mechanism of determining reasonable, fair and equitable profits and tax in India in the case of such multinational enterprises.
Accordingly, the Finance Act, 2001 introduced law of transfer pricing in India through sections 92A to 92F of the Indian Income Tax Act, 1961 (‘the Act’). The Indian Transfer Pricing Regulation (TPR) is in line with the OECD guidelines. These regulations have increased the onus on taxpayers to demonstrate arm’s length price in controlled transactions.
In a global economy, where 2/3rd of the trade is carried on by Multinational Enterprises (MNEs) it is imperative for revenue to ensure that the taxable profits of the MNEs are not artificially shifted to low tax jurisdictions.

2. Indian Income Tax Provisions relating to Transfer Pricing
As per Indian Income Tax Provisions any income arising from an international transaction shall be computed having regard to the Arm’s Length Principle which includes even allowance of expenses or interest. Certain specific terms are defined in the Act for the purposes of simplifying the provisions of the TPRs.

3. Concept of Associated Enterprises
Associated Enterprises (AE) is the most common term used in the OECD guidelines. In the Act they have been defined as an enterprise which participates directly or indirectly, through one or more intermediaries, in the management, control or capital of the other enterprise. In addition, where one or more persons participate in the management or control or capital directly or indirectly or through one or more intermediaries in two separate enterprises, the said enterprises would be AEs. The concept of control

You May Also Find These Documents Helpful

  • Powerful Essays

    Accg326

    • 3574 Words
    • 15 Pages

    National tax authorities have guidelines regarding what is an acceptable transfer price for tax purposes. These national laws often are based on OECD guidelines. The basic rule is that intercompany…

    • 3574 Words
    • 15 Pages
    Powerful Essays
  • Powerful Essays

    Solution Manuel

    • 10315 Words
    • 42 Pages

    CHAPTER 9 TAXATION OF INTERNATIONAL TRANSACTIONS SOLUTIONS TO PROBLEM MATERIALS | | | | |Status: | Q/P | |Question/ |Learning | | |Present |in Prior | |Problem |Objective |Topic | |Edition |Edition | | | | | | | | | | | 1 LO 1 Worldwide income Unchanged 1 2 LO 1 Worldwide income Unchanged 2 3 LO 2 Tax treaties New 4 LO 3 Sourcing of income New 5 LO 3 Sourcing of income Unchanged 5 6 LO 3 Section 482 Unchanged 6 7 LO 4 Foreign currency New 8 LO 4 QBUs New 9 LO 4 Section 988 gain or loss New 10 LO 5 Section 367 New 11 LO 5 Foreign Corporation New 12 LO 5 CFC status New 13 LO 5 CFC status Unchanged 13 14 LO 5 Definition of CFC Unchanged 14 15 LO 5 Foreign tax credit limitation New 16 LO 5 Foreign tax credit or deduction New 17 LO 5 Section 902 credit Modified 16 18 LO 5 Foreign tax credit (FTC) issues Unchanged 18 19 LO 5 FTC baskets of income New 20 LO 6 Inbound taxation New 21 LO 3, 6 U.S. taxation of foreign corporation Modified 21 22 LO 3, 6 Inbound versus outbound activities Unchanged 22 23 LO 1, 3, 5 Worldwide taxation and the FTC Modified 23 24 LO 4, 5 Deferral of foreign income Modified 24 *25 LO 3 Income sourcing Modified 25 26 LO 3 Income sourcing Modified 26 *27 LO 3 Income sourcing Modified 27 *28 LO 3, 6 Income sourcing Modified 28…

    • 10315 Words
    • 42 Pages
    Powerful Essays
  • Better Essays

    Kachwaha, S. (2015, April 26). India: Doing Business in India - A Legal Overview. Retrieved from Mondaq:…

    • 1003 Words
    • 5 Pages
    Better Essays
  • Better Essays

    within the meaning of the income tax treaty between the United States and that country.…

    • 852 Words
    • 4 Pages
    Better Essays
  • Powerful Essays

    Offshore Tax Havens

    • 1699 Words
    • 5 Pages

    Offshore tax havens are a tax-avoiding loophole that sends money over seas where there is no or little tax. This has become the go to move of some of the top corporations of the United States as these companies are costing the U.S over one hundred fifty billion dollars of revenue each year. (1) Last year alone it was concluded that the top fifteen multinational companies held $776 billion dollars offshore in various subsidiaries that totaled around 859. With that in mind, the top one hundred companies held about 1.7 trillion dollars offshore. (2) Corporate taxes in the U.S. are taxed at a rate of thirty five percent, where on average the offshore tax havens are taxed at a mere 6.9 percent. (2) These offshore accounts can be seen as “nominal, hyper-portable, multi-jurisdictional, often quite temporary locations of networks of legal and quasi legal entities and arrangements that manage and control private wealth”. (3) Tax havens have become a major issue in the U.S. as the top corporations of the country show no sign of slowing in their games of tax avoidance schemes.…

    • 1699 Words
    • 5 Pages
    Powerful Essays
  • Powerful Essays

    Patriot Act

    • 14268 Words
    • 58 Pages

    Professor Robert Munro Thesis I Walter H. & Dorothy B. Diamond Graduate International Tax Program, Thomas Jefferson School of Law…

    • 14268 Words
    • 58 Pages
    Powerful Essays
  • Powerful Essays

    Agenda – Submit term projects to TURNITIN ASAP – Assignment #2 due April 1st 1159pm • List the coauthor’s name in the subject line. • Teaching Evaluation • Transfer pricing (cont.) – Stanco Inc. • Review chapters 11 and 12 & the practice final – Practice Q1 and Q2 • Review chapters 8 and 9 and the practice final – Practice Q3 and Q4 ACTG 2020…

    • 1750 Words
    • 20 Pages
    Powerful Essays
  • Good Essays

    Tax havens generally exist to protect offshore profits and keep them a secret from governments. After The Economist published a special report named “Storm Survivors” about offshore finance problems, Jeffery Kadet proposed a “worldwide-full inclusion” system to fix the offshore financial problem. Most countries use “territorial” or “deferral” tax systems. Either system is better than Kadet’s “worldwide-full inclusion” system, because the “territorial” and “deferral” systems would prevent multinational businesses from shifting their money to tax havens. They would avoid making those companies pay double tax on foreign earned income to their home countries and to foreign countries. The “territorial” system also would give companies more competitive opportunities on a level playing field in the world. On the other hand, the “deferral” system would allow multinational companies to delay paying their income taxes on offshore profits; companies can use the deferred income tax money to expand their offshore business.…

    • 781 Words
    • 4 Pages
    Good Essays
  • Satisfactory Essays

    Many international businesses transfer their operations like production and services to the countries where the tax rates are lower, compared to their mother country, where the parent company has its headquarters. According to OECD Statistics, that researchers have performed, there is a remarkable growth in the transfer of all these intangible assets from 13 percent to 37 percent in a period of 28 years, from 1983 to 2011.…

    • 443 Words
    • 2 Pages
    Satisfactory Essays
  • Good Essays

    Bsa/310 Week 2 Assignment

    • 768 Words
    • 4 Pages

    For the E-Commerce the business organizations have to consider the taxation laws of the Native Country.…

    • 768 Words
    • 4 Pages
    Good Essays
  • Powerful Essays

    Markit Clear Legal Overview Scott Kostyra – Markit Bridget Marsh – LSTA March 3, 2011 CONFIDENTIAL Markit Clear documentation overview  Industry standard documentation – Large number of market participants  Approximately 50 active banks  Over 650 fund managers – Standard documents posted on-line  Developed via collaborative process – Legal documentation working group     Markit LSTA Banks Lenders  LSTA/LMA legal framework subsumed 2 Legal differences ClearPar vs. Markit Clear ClearPar:  Buy-side user – No legal agreements  Trade documents executed – PIN code entered to execute each document – Confirm at Sub-trade Markit Clear:…

    • 1164 Words
    • 5 Pages
    Powerful Essays
  • Powerful Essays

    In different phases and regions, FIEs enjoy different preferential tax rates. How to fully utilize the tax holiday and other concessional arrangements to maximize profit is a crucial question facing foreign corporations.…

    • 9316 Words
    • 38 Pages
    Powerful Essays
  • Satisfactory Essays

    1. Calculate the increase or decrease in profits for the three divisions and the company as a whole (four separate computations) if the agreement is enforced. Explain your thought process, comment on the situation, and make a suggestion based on the computations you have made.…

    • 648 Words
    • 7 Pages
    Satisfactory Essays
  • Powerful Essays

    Transfer Pricing

    • 1664 Words
    • 7 Pages

    1) BADM4280 Paper Ltd. is a division of GH Inc. BADM4280 Paper Ltd. produces paper and sells it to a number of companies, as well as to GH Inc. who uses it in their textbook division. Recently, the vice president of marketing for GH Inc. approached BADM4280 Paper Ltd. with a request to make 20,000 units of a special paper product. The following information is available regarding the BADM4280 Paper division:…

    • 1664 Words
    • 7 Pages
    Powerful Essays
  • Powerful Essays

    Ballada, Susan and Win Lu Ballada. 2006. Transfer and Business Taxation Made Easy (8th ed.). Philippines: Domdane Publishers and Made Easy books…

    • 2734 Words
    • 11 Pages
    Powerful Essays