Transfer Pricing law was introduced in India in 2001. It deals with curbing tax avoidance by laying down norms for computation of income arising from international transactions or specified domestic transactions (“SDTs”) having regard to the “arm’s length price”. Our Transfer Pricing services offer effective solutions to companies which undertake international transactions or specified domestic transactions with its associated enterprise or group companies which are as follows:
● Transfer Pricing Analysis
● Selection of the appropriate method
● Benchmarking Analysis
● Assistance in preparation of Transfer Pricing documentation
● Issuance of Transfer Pricing Certificate
● Representing Transfer Pricing Cases before Transfer Pricing Officer/ Appellate Authorities
● Representation Services for Assessments before Income-tax officers
● Appeal Proceedings before CIT(A) as well as Income Tax Appellate Tribunal
● Assistance in appeal proceedings before High Courts and Supreme Courts
(Preparation of case, Briefing Counsels)
● Review of books of Accounts
● Tax Audit
● Preparation & Computation of Income & Taxes thereon
● Preparation & Submission of ITR
● Advisory on taxation matters
● Retainership Service including filing of periodic returns and advisory services
● Consultancy / Advisory Services
● Service Tax Registration / Amendment
● Due Diligence
● Service Tax Health Check
● Support in Relation to Assessments by various Status
● Litigation services
Retainership service including filing of periodic returns and advisory services
● Consultancy/ Advisory Services in the Domain of VAT, CST, Other Local Taxes
● VAT Audit
● Obtaining VAT and CST Registration/ Amendment
● Issuance of Statutory Forms and Road Permits
● Health Check for VAT/CST
● Support in Relation to VAT, CST & Entry Tax Assessments
● Litigation Services
Transfer Pricing law was introduced in India in 2001. It deals with curbing tax avoidance by laying down norms for computation of income arising from international transactions or specified domestic transactions (“SDTs”) having regard to the “arm’s length price”. Our Transfer Pricing services offer effective solutions to companies which undertake international transactions or specified domestic transactions with its associated enterprise or group companies which are as follows:
● Transfer Pricing Analysis
● Selection of the appropriate method
● Benchmarking Analysis
● Assistance in preparation of Transfer Pricing documentation
● Issuance of Transfer Pricing Certificate
●Representing Transfer Pricing Cases before Transfer Pricing Officer/ Appellate Authorities
At TRC, we provide the following services under International Taxation:
Transfer Pricing law was introduced in India in 2001. It deals with curbing tax avoidance by laying down norms for computation of income arising from international transactions or specified domestic transactions (“SDTs”) having regard to the “arm’s length price”. Our Transfer Pricing services offer effective solutions to companies which undertake international transactions or specified domestic transactions with its associated enterprise or group companies which are as follows:
● Transfer Pricing Analysis
● Selection of the appropriate method
● Benchmarking Analysis
● Issuance of Transfer Pricing Certificate
● Representing Transfer Pricing Cases before Transfer Pricing Officer/ Appellate Authorities
Transfer Pricing law was introduced in India in 2001. It deals with curbing tax avoidance by laying down norms for computation of income arising from international transactions or specified domestic transactions (“SDTs”) having regard to the “arm’s length price”. Our Transfer Pricing services offer effective solutions to companies which undertake international transactions or specified domestic transactions with its associated enterprise or group companies which are as follows:
● Transfer Pricing Analysis
● Selection of the appropriate method
● Benchmarking Analysis
● Issuance of Transfer Pricing Certificate
● Representing Transfer Pricing Cases before Transfer Pricing Officer/ Appellate Authorities
The Double Tax Avoidance Agreements (DTAA) are essentially bilateral agreements entered into between two countries, in our case, between India and another foreign state. We facilitate our client in DTAA Advisory to avoid double taxation based on the nature of Income and expenditure, in both the countries (i.e. Double taxation of same income) and withholding tax issues and other compliance.
7, Sambhu Mullick Lane, Ground Floor, Near A. V. Market, Burra Bazar, Kolkata - 700007, West Bengal
202, Jessore Road, Kolkata - 700089, West Bengal
info@loharuka.co.in clientsrecords@yahoo.com
033 - 2268 1677 033 - 2272 5469 +91 - 98305 60400 +91 - 98302 60400
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