Transfer Pricing Consultants in India

India's most trusted Transfer Pricing consulting partner — every transaction, every industry.

From TP documentation and benchmarking to Advance Pricing Agreements and litigation support, our team of Chartered Accountants, Company Secretaries and Lawyers helps Indian and multinational businesses stay arm's-length compliant and audit-ready.

7Chartered Accountants
15+ yrsAverage CA Experience
2Company Secretaries
3Lawyers
37Total Professionals
Transfer pricing and international tax illustration

Why businesses choose us

  • End-to-end TP compliance — Form 3CEB, Local File, Master File & CbCR under one roof
  • In-house litigation team for TPO, DRP, CIT(A) and ITAT representation
  • Sector-specific benchmarking with defensible comparability analysis
  • Unilateral, bilateral & multilateral APA filing and negotiation support
  • Coverage across every industry operating in India
7Chartered Accountants (15+ yrs experience)
2Company Secretaries
3Lawyers & Litigation Specialists
25Support & Research Staff
What We Do

Transfer Pricing services for every type of transaction

We handle the full spectrum of transfer pricing work under the Indian Income-tax Act — from documentation and benchmarking to APAs and litigation.

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TP Documentation & 3CEB

Local file, TP study report and Accountant's Report (Form 3CEB) prepared to withstand scrutiny.

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Benchmarking Studies

Robust comparability analysis using Indian & global databases across all prescribed methods.

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Advance Pricing Agreements

Unilateral, bilateral and multilateral APA strategy, filing, negotiation and renewal.

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TP Audit & Litigation

Representation before TPO, DRP, CIT(A) and ITAT, plus MAP and secondary adjustment advisory.

Industries We Serve

Transfer pricing expertise across every sector

Every industry with cross-border or intra-group related-party dealings needs defensible transfer pricing. We've handled it across the board.

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IT, ITES & Software

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Pharma & Life Sciences

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Automotive & Auto Components

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BFSI

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FMCG & Consumer Goods

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E-commerce & Retail

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Manufacturing & Engineering

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Telecom & Media

Our Process

A disciplined, four-step approach to arm's-length compliance

Step 1

Diagnose

Map related-party transactions, review existing documentation and identify TP risk areas.

Step 2

Benchmark

Run functional analysis and comparability search using the most defensible method.

Step 3

Document

Prepare Local File, Master File, Form 3CEB and CbCR notification, fully audit-ready.

Step 4

Defend

Represent you before the TPO, DRP, CIT(A), ITAT or in APA/MAP negotiations.

Client Feedback

Trusted by finance and tax teams across India

"Their benchmarking study held up without a single adjustment during our TP audit. Extremely thorough and responsive team."

CFO, IT Services CompanyBengaluru

"They guided our bilateral APA from application to signing. Professional, methodical, and always accessible."

VP Finance, Auto Components GroupPune

"Our Master File and CbCR filings are now handled seamlessly every year. One less thing to worry about."

Group Tax Head, Pharma MNCHyderabad
Insights

Latest from the Transfer Pricing Blog

FAQs

Frequently asked questions

Who is required to maintain transfer pricing documentation in India? +
Any Indian entity entering into international transactions or specified domestic transactions with associated enterprises exceeding ₹1 crore must maintain TP documentation and file Form 3CEB under Section 92E of the Income-tax Act.
What is the due date for Form 3CEB and the TP study report? +
Form 3CEB must generally be filed by 31 October of the assessment year (30 November for entities with specified/international transactions requiring transfer pricing audit alongside tax audit), ahead of the income tax return filing deadline.
How long does an Advance Pricing Agreement take in India? +
Unilateral APAs typically take 18–30 months; bilateral APAs (involving competent authority negotiation) can take 2–4 years depending on treaty partner and case complexity.
Do you support Master File and Country-by-Country Reporting (CbCR)? +
Yes — we assess applicability under Rule 10DA/10DB, prepare and file Master File (Form 3CEAA) and CbCR notifications/reports (Form 3CEAC/3CEAD) for Indian constituent entities.

Ready for a Transfer Pricing health check?

Book a free, no-obligation consultation with our Chartered Accountants today.