In Transfer Pricing Audit (TPA) we examine the pricing of transactions between related two or more associates. By applying and documenting various test methods, it is determined whether the transactions are conducted under market conditions and survive the scrutiny of the IRS and other tax authorities.

Section 92E of Income Tax Act, 1961 is applicable on the TPA. The TPA is applicable on every person who has entered into an international transaction and aggregate value of such transactions exceeds Rs. 1 crore and specified domestic transactions exceed INR 20 crore in a financial year. In case the aggregate value of such transactions does not exceed its prescribed limited then it is not mandatory to maintain the aforesaid information and documents

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