Transfer Pricing refers to the pricing of international transactions between two associated enterprises. Due to the special relationship between related parties, the transfer price may be different than the price that would have been agreed between unrelated parties .A price between unrelated parties is known as the “arm’s length” price
Any income (or expense or interest) arising from an international transaction between related parties, shall be computed having regard to the arm’s length price. Transfer pricing provision is applicable to specified domestic transactions if aggregate value of such transactions exceeds INR 5 crores
Legalsyne has a dedicated team of experienced TP professionals, including Chartered accountants, specialists and financial analysts, who can offer essential local knowledge within a global framework. With the help of our team, business can develop and implement economically sustainable transfer prices, document policies and outcomes and meet challenges from the tax authorities.