Deep dive: Associated Enterprises and International transactions
TP regulations provide specific situations when two or more enterprises are considered to be associated enterprises or deemed associated enterprises. It also enumerates in detail the meaning of international transactions and situations which are deemed to be international transactions. In this module, we will explain each of these concepts as per the Indian transfer pricing laws. We will also demonstrate the application of these concepts using some case studies to help you understand the situations where two enterprises should be considered as associated enterprises and what type of transactions fall under the category of international transactions as per the Indian transfer pricing laws.
Methods of Transfer Pricing - Part 1
Indian transfer pricing regulations mainly focus on determining the arm’s length price between associated enterprises. The law prescribes certain methods based on which such price can be determined. In this module, we shall explain the transfer pricing methods as prescribed under the transfer pricing laws of India along with the criteria or suitability under certain different situations or cases. We will also take you through the nuances of selecting the most appropriate method while evaluating the intercompany arm’s length nature of transactions.
Methods of Transfer Pricing - Part 2
Indian transfer pricing regulations mainly focus on determining the arm’s length price between associated enterprises. The law prescribes certain methods based on which such price can be determined. In this module, we shall explain the transfer pricing methods as prescribed under the transfer pricing laws of India along with the criteria or suitability under certain different situations or cases. We will also take you through the nuances of selecting the most appropriate method while evaluating the intercompany arm’s length nature of transactions.