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Transfer Pricing

Get the best advisory on inter-company transactions with our Transfer Pricing advisory services

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Assisted clients in securing 10+ APAs with tax authorities

Transfer pricing is one of the most critical tax issues for growth-oriented businesses with international operations. InCorp has a team of 25+ certified Transfer Pricing experts with 12+ years of experience. We have completed 500+ projects for 150+ clients in 7+ industries. We have achieved 100% compliance with our transfer pricing advisory for clients. We guide organisations at different stages of inter-company transactions and provide customized solutions that suit your company’s transfer pricing needs.

Service Areas Within Transfer Pricing

Expert advisory on Transfer Pricing Documentation

We provide expert team guidance in preparing comprehensive transfer pricing documentation that satisfies local regulations and OECD guidelines.

Negotiations of Advanced Pricing Agreements (APAs)

We negotiate APAs with tax authorities to provide certainty on transfer pricing methods for future transactions, reducing the risk of your potential tax disputes.

Transfer Pricing Risk Assessment

Our experts conduct thorough transfer pricing risk assessments to identify potential areas of concern and implement strategies to mitigate risks.

Get Intercompany Transactions and Compliance

We offer guidance on structuring intercompany transactions to comply with transfer pricing regulations, ensuring accurate reporting and adherence to arm's length principles.

InCorp Insights

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Tax Consideration on Payment to Micro and Small Enterprises

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Introduction Section 43B of the Income-tax Act, 1961(the Act), allows certain statutory payments as deduction only

Everything You Need To Know About Transfer Pricing

Everything You Need To Know About Transfer Pricing

A transfer price arises for accounting and taxation purposes when related parties, such as divisions within

New Valuation Rules to Determine Angel Tax

New Valuation Rules to Determine Angel Tax

The Central Board of Direct Taxes (CBDT) has issued a notification* that amends Rule 11UA of the Income-tax

Note on Income Tax Rule 11UACA Notified on 16 August 2023

Note on Income Tax Rule 11UACA Notified on 16 August 2023

The Central Board of Direct Taxes (CBDT) vide notification no 61/2023/F. No. 370142/28/2023-TPL dated 16 August

Assignment of Leasehold Rights on Land – Critical analysis

Assignment of Leasehold Rights on Land – Critical analysis

Leasehold rights on land play a crucial role in various real estate transactions and business operations.

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