Transfer pricing has evolved from a regulatory obligation to a core component of global business strategy. Today, it is a boardroom priority — not just for tax compliance, but also for driving value, managing risks, and ensuring tax-efficient business models across jurisdictions.

As businesses expand globally, evaluating and documenting the arm’s length nature of intra-group transactions is critical. 

Profit attribution must reflect the economic substance of functions, assets, and risks — while preserving overall group tax efficiency and mitigating dispute exposure.

What We Do

Our firm helps companies balancing Indian transfer pricing compliance with global business strategy and TP litigation assistance

  • Transfer pricing study and compliance in India, including assistance in Country-by-country reporting and Master File reporting
  • Review and structuring of supply chain to integrate tax considerations with business processes
  • Evaluation of applicability of transfer pricing legislations in different jurisdictions and setting up global transfer pricing policy (including planning benchmarking)
  • Permanent Establishment (PE) attribution of income
  • TP litigation