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Transfer Pricing in India Since Inception To BEPS

By S C Mishra (Author)

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Transfer Pricing in India Since Inception To BEPS
INR
9789351297673
In Stock
1615.5
Rs.1,615


Description

About the Book

 

The cross-border transaction flows are increasingly being scrutinized mainly because in the present times of fiscal constraints, the tax administrations attempt to secure a wider revenue base. The dynamics of changing business structures and regulatory regimes make the analysis of transfer pricing more challenging for the taxpayers and the tax authorities. In India, there is a growing corpus of case laws on transfer pricing.

This book covers the discussion on journey of Transfer Pricing from history to Future. The emergence of the provisions of Transfer Pricing, their evolvement to the current stage with the amendments in the law and the future outlook with BEPS are comprehensively discussed, with an outline on it’s implication on the stakeholders.

The author has made an endeavor to provide vast commentary on transfer pricing regulations with reference to the judicial pronouncements, not only of India but also which are decided in other geographies like United States, Canada etc. It has been written to make the task of the stakeholders a little easier in complying with the transfer pricing regulations. It covers the discussion on theoretical framework of international business and intra group relations followed by the objects of enquiry into such relations. The implication of BEPS has also been elucidated. It also covers the relevant portions of the OECD and US regulations. The provisions relating to documentation, penalty, risk assessment, audit and Dispute Resolution Mechanism has also been discussed.

 

 Key Features

 

  • Updated with all the statutory amendments
  • Includes discussion on BEPS
  • Detailed discussion on digital economy and country by country report
  • Covers Safe Harbor Rules and GAAR
  • Explicating the determination of Most Appropriate method to ascertain Arm’s length price
  • Exploring the concept of Dispute Resolution Panel
  • Incorporating more than 250 domestic as well as international judicial pronouncements

 

 

Table of Contents

 

 

Chapter 1

International Business and Intra-group Relations

Chapter 2

Objects of Enquiry into Intra-group Business Relations

Chapter 3

Setting the Transfer Price and the Objects of Auditing its Outcome

Chapter 4

Indian Legislation Relating to Transactions between Associated Enterprises

Chapter 5

Arm’s Length Methods

Chapter 6

Transactional Profit Methods

Chapter 7

Determination of Arm’s Length Price by the Most Appropriate Method

Chapter 8

Safe Harbour Rules and General Anti-Avoidance Rule

Chapter 9

Comparability

Chapter 10

Transfer of Intangible Property

Chapter 11

Provision of Intra-Group Services

Chapter 12

Cost Contribution/ Sharing Arrangements/ Agreements

Chapter 13

Intra-Group Financing

Chapter 14

Business Restructuring

Chapter 15

Burden of Proof, Documentation and Penalties

Chapter 16

Risk Assessment and Audits

Chapter 17

Dispute Resolution Mechanisms

Chapter 18

The Journey Ahead

Annexure

 

About the Author

 

S C Mishra is former Director- General of Income-tax and author of Transfer Pricing Manual. His areas of specialisation include tax policy, capacity building and training. He has wide experience in legislative drafting and amendment of direct tax laws. He has participated in programmes on training methods, tax treaties and comparative tax laws in India and overseas. He has also conducted training programmes on taxation of non-residents. He was involved in designing training programmes for officers of developing countries. As a tax administrator, he investigated into cases of tax frauds comprising also of cross- border transactions. However, the role that he cherishes the most was as a training administrator where his job included identification of training needs, designing course profiles and evaluation of these programmes.

 

 

 

About the Book   The cross-border transaction flows are increasingly being scrutinized mainly because in the present times of fiscal constraints, the tax administrations attempt to secure a wider revenue base. The dynamics of changing business structures and regulatory regimes make the analysis of transfer pricing more challenging for the taxpayers and the tax authorities. In India, there is a growing corpus of case laws on transfer pricing. This book covers the discussion on journey of Transfer Pricing from history to Future. The emergence of the provisions of Transfer Pricing, their evolvement to the current stage with the amendments in the law and the future outlook with BEPS are comprehensively discussed, with an outline on it’s implication on the stakeholders. The author has made an endeavor to provide vast commentary on transfer pricing regulations with reference to the judicial pronouncements, not only of India but also which are decided in other geographies like United States, Canada etc. It has been written to make the task of the stakeholders a little easier in complying with the transfer pricing regulations. It covers the discussion on theoretical framework of international business and intra group relations followed by the objects of enquiry into such relations. The implication of BEPS has also been elucidated. It also covers the relevant portions of the OECD and US regulations. The provisions relating to documentation, penalty, risk assessment, audit and Dispute Resolution Mechanism has also been discussed.    Key Features   Updated with all the statutory amendments Includes discussion on BEPS Detailed discussion on digital economy and country by country report Covers Safe Harbor Rules and GAAR Explicating the determination of Most Appropriate method to ascertain Arm’s length price Exploring the concept of Dispute Resolution Panel Incorporating more than 250 domestic as well as international judicial pronouncements     Table of Contents     Chapter 1 International Business and Intra-group Relations Chapter 2 Objects of Enquiry into Intra-group Business Relations Chapter 3 Setting the Transfer Price and the Objects of Auditing its Outcome Chapter 4 Indian Legislation Relating to Transactions between Associated Enterprises Chapter 5 Arm’s Length Methods Chapter 6 Transactional Profit Methods Chapter 7 Determination of Arm’s Length Price by the Most Appropriate Method Chapter 8 Safe Harbour Rules and General Anti-Avoidance Rule Chapter 9 Comparability Chapter 10 Transfer of Intangible Property Chapter 11 Provision of Intra-Group Services Chapter 12 Cost Contribution/ Sharing Arrangements/ Agreements Chapter 13 Intra-Group Financing Chapter 14 Business Restructuring Chapter 15 Burden of Proof, Documentation and Penalties Chapter 16 Risk Assessment and Audits Chapter 17 Dispute Resolution Mechanisms Chapter 18 The Journey Ahead Annexure   About the Author   S C Mishra is former Director- General of Income-tax and author of Transfer Pricing Manual. His areas of specialisation include tax policy, capacity building and training. He has wide experience in legislative drafting and amendment of direct tax laws. He has participated in programmes on training methods, tax treaties and comparative tax laws in India and overseas. He has also conducted training programmes on taxation of non-residents. He was involved in designing training programmes for officers of developing countries. As a tax administrator, he investigated into cases of tax frauds comprising also of cross- border transactions. However, the role that he cherishes the most was as a training administrator where his job included identification of training needs, designing course profiles and evaluation of these programmes.      

Features

  • : Transfer Pricing in India Since Inception To BEPS
  • : S C Mishra
  • : 9789351297673
  • : 1200

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