Transfer Pricing Advisory
Stay Ahead with Strategic Transfer Pricing Solutions.
Navigating transfer pricing in India is complex, with evolving regulations, rigorous documentation requirements, and heightened scrutiny from tax authorities.
We help you design and implement robust, defensible transfer pricing policies tailored to your business.
Key Differentiators
01
Minimize Tax Risks & Avoid Penalties
Stay ahead of global tax authority scrutiny with robust, defensible transfer pricing documentation and strategies that comply with OECD guidelines and local regulations
02
Support Global Expansion
We design scalable transfer pricing frameworks that adapt to business growth across new jurisdictions, helping you enter markets confidently while managing tax exposure.
03
Stay Compliant in a Dynamic Regulatory Environment
With increasing regulatory complexity, including BEPS Action Plans and country-by-country reporting, we keep your business fully compliant and future-ready.
04
Enhance Intercompany Transparency
Achieve clarity and consistency in intercompany transactions, reducing disputes and building trust between subsidiaries, headquarters, and tax authorities.
What We Do
01
Transfer Pricing Documentation & Compliance
We ensure end-to-end compliance with Indian transfer pricing regulations, including preparation of local files, master files, and country-by-country reports (CbCR). Our team manages benchmarking studies, economic analysis, and filing of Form 3CEB to ensure accurate documentation and reduce audit risk.
02
Double Taxation Avoidance Agreement (DTAA) Advisory
Our proactive advisory helps design tax-efficient intercompany pricing models aligned with OECD guidelines and Indian TP laws. We assist in identifying high-risk transactions, structuring intercompany agreements, and minimizing potential exposure through robust planning and risk assessment.
03
Dispute Resolution & Representation
Traecit offers expert representation during TP audits and assessments. We support clients through the entire litigation cycle from initial scrutiny to appeals while also assisting with Advance Pricing Agreements (APAs) and Mutual Agreement Procedures (MAPs) for certainty and dispute resolution.
04
DTAA Advisory & Cross-Border Structuring
Leveraging Double Taxation Avoidance Agreements (DTAAs), we optimize global tax positions and reduce withholding tax burdens. Our advisory includes treaty interpretation, permanent establishment risk analysis, and structuring of cross-border transactions to ensure compliance and tax efficiency.