ICAI

ICAI Guidance Note on report under section 92E (Transfer Pricing) under Income-tax Act. CA Report in Form 3CEB under Rule 10E

ICAI Guidance Note on report under section 92E (Transfer Pricing) under the Income-tax Act. related to Chartered Accountants Report in Form 3CEB under Rule 10E

Committee on International Taxation of ICAI has brought out the fifth edition of “Guidance Note on report under section 92E-Transfer Pricing under the Income-tax Act, 1961 ”. The Revised Guidance Note seeks to help chartered accountants in equipping themselves to face challenges in the complex area relating to Transfer Pricing also.

The previous Guidance Note was revised in August 2013, when Part C was inserted in Form No. 3CEB to report specified domestic transactions under section 92BA. Since then there have been various amendments in Transfer Pricing i.e., safe harbor rules in respect of arm’s length price under section 92C or section 92CA; roll back mechanism; range concept and use of multiple year data for determination of arm’s length price etc. The present revised Guidance Note provide the guidance on the latest provisions.

ICAI Guidance Note on report under section 92E has been divided under nine chapters as under:

1. Chapter 1 – Introduction

Legislative framework
Terms and abbreviations used
Objective of the guidance note
Applicability of the provisions

2. Chapter 2 – Responsibility of an enterprise and the Accountant

Responsibility of an enterprise
Accountant’s responsibility
Professional misconduct

Chapter 3 – Associated Enterprise

Associated enterprises and deemed associated Enterprises

Chapter 4 – International transaction

Definition
Impact of Amendment
Tangible and Intangible property
Services, finances and costs etc.
Cross-border transactions

Chapter 4A – Specified Domestic Transactions

Definition 47 Threshold Limit

Chapter 5 – Arm’s Length Price

Meaning and determination
Uncontrolled transaction
Comparable uncontrolled transactions
Distinctive nature of the property and services
Analysis of functions performed
Analysis of assets employed
Analysis of risks assumed
Characterisation
Tested party
Contractual terms
Market conditions
Business strategies, commercial considerations and economic principles
Power of Assessing Officer

Chapter 6 – Methods of computation of arm’s length price

Meaning of relevant terms
Comparable Uncontrolled Price Method
Resale Price Method
Cost Plus Method
Profit split method
Transactional net margin method
Other Method of determination of arm’s length price
Most appropriate method

Chapter 7 – Documentation and verification

Types of information and documents
Ownership, profile and business
Details of international transactions
Records having a bearing on international transaction
Description of methods considered and working Thereof
Relief from maintenance of specific records
Supporting documents
Contemporaneity of data

Chapter 8 – Penalties

Penalty for concealment of income or furnishing inaccurate particulars thereof
Penalty for under reporting and misreporting of income
Penalty for failure to keep and maintain information and documents in respect of international transaction or specified domestic transaction
Penalty for failure to furnish report under section 92E
Penalty for failure to furnish information or document under section 92D
Penalty for failure to furnish information or documents under Section 286

Chapter 9 – Scope of examination under section 92E

Report under section 92E
Annexure to Form No.3CEB

Apart from the above, the Guidance Note contains all relevant rules and forms, relevant  provisions of the Finance Bill(s), circulars, etc.

Download ICAI Guidance Note on report under section 92E Click Here >>

----------- Similar Posts: -----------
Share

Recent Posts

  • Income Tax

No statutory requirement of pre-deposit for stay of demand under Income Tax Act – HC

There is no statutory requirement of pre-deposit for stay of demand under Income Tax Act - High Court stayed demand  …

6 hours ago
  • ICSI

Engagement of Company Secretaries as Young Professionals at RoC Mumbai and Pune

Engagement of Company Secretaries (CS) as Young Professionals in the Office of Regional Director (WR), Registrar of Companies, Mumbai and…

10 hours ago
  • Income Tax

Applicability of Section 115BBE rws 69, 69A 69C in a case before Settlement Commission

Applicability of provisions of Section 115BBE  read with Section 69, 69A and 69C in a case arising before Settlement Commission…

11 hours ago
  • Income Tax

Jewellery purportedly received from grandparent under Will added as unexplained credits

Addition u/s 68 for jewellery purportedly received on death of grandparent under Will upheld. In a recent judgment, ITAT upheld…

2 days ago
  • bankruptcy

SC lays down tests to determine if a debt is financial debt or operational under IBC

Supreme Court lays down tests to determine whether a debt is a financial debt or an operational debt under IBC…

2 days ago
  • Income Tax

Commonality of directors of companies does not mean deposits received was bogus

Merely because directors of two companies were common not mean that deposits received was bogus and companies were shell companies…

3 days ago