Transfer Pricing Audit and Issuance of Form 3CEB. Kedar Karve 10 October 2015 Application No. 65

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Transfer Pricing Audit and Issuance of Form 3CEB Kedar Karve 10 October 2015 Application No. 65 0

Contents 1 2 3 4 5 Brief Overview of Transfer Pricing Regulations in India Section 92E of Income-tax Act, 1961 Specific Concerns Form No 3CEB Penalty leviable Q & A 1

Scheme of Transfer Pricing Regulations in India 2

Brief Overview of Transfer Pricing Regulations in India Relevant Provisions under Section 92 Computation of Income from International Transaction / Specified Domestic Transaction having regard to Arm s Length Price With Associated Enterprises International Transaction Specified Domestic Transaction Arm s Length Price Documentation and Certificate Scrutiny Power of AO and TPO Dispute Resolution Panel Penalties Section 92A Section 92B Section 92BA Section 92C + Rule 10B/ 10C Section 92D and Section 92E Section 92CA Section 144C Section 271 (1) (c), 271AA, 271BA, 271G 3

Scheme of Transfer Pricing Regulations in India Other relevant provisions Advance Pricing Agreements Safe Harbour Section 92CC and CD+ Rules 10F to 10T Section 92CB + Rules 10TA to 10TG 4

Section 92E of Income-tax Act, 1961 Accountants Report 5 5

Section 92E of Income-tax Act, 1961 (the Act) Traditionally Form No. 3CEB entailed covering of International transactions with Associated Enterprises However Domestic Transfer Pricing was made applicable from assessment year 2013-14 whereby the existing Form No. 3CEB was revised to include Part C covering clauses 21 to 25 to capture data relating to specified domestic transactions (SDT) With the advent of the same, the term related party is also used along with the traditional term Associated Enterprise for addressing specified domestic transactions Section 92E Every person who has entered into an international transaction or SDT during a previous year shall obtain a report from an accountant and furnish such report on or before the specified date in the prescribed form duly signed and verified in the prescribed manner by such accountant and setting forth such particulars as may be prescribed Rule 10E The report from an accountant required to be furnished under section 92E by every person who has entered into an international transaction or SDT during a previous year, shall be in Form No. 3CEB and shall be verified in the manner indicated therein 6

Accountants Report Summary of Section 92E read with Rule 10E A person means every person as defined u/s 2(31) of the Act International Transaction Section 92B & 92BA of the Act Report - Form No. 3CEB [Rule 10E] Accountant - Explanation to Section 288(2) of the Act Specified date - Section 92F(iv) - Explanation 2 to Section 139(1) Obtain a report and furnish Penalty of Rs. 100,000 (Section 271BA) No monetary limit for furnishing the report Form no. 3CEB consist of the following parts: Report Annexure to the Report Appendices to the Annexure (wherever required) 7

Accountants Report Obtained by every person entering into an international transaction and specified domestic transactions To be filed by the due date for filing return of income (e-filing mandatory) Opinion whether prescribed documents have been maintained the particulars in the report are true and correct Different from concept of true and fair under audit Inputs: Related party ledgers extracts Related party Schedule under AS-18 Sample Invoices/ Vouchers / DN / CN Relevant intra-group agreements CUP/ Internal comparison info Form No. 3CEB [See rule 10E] Report from an accountant to be furnished under section 92E relating to international transaction(s) 1. We have examined the accounts and records of ENTITY NAME AND POSTAL ADDRESS - PAN No. that have been made available to us relating to the international transactions and specified domestic transactions entered into by the assessee during the previous year ending on 31st March 2015. 2. In our opinion proper information and documents as are prescribed have been kept by the assessee in respect of the international transaction (s) and specified domestic transaction (s) entered into so far as appears from our examination of the records of the assessee. 3. The particulars required to be furnished under section 92E are given in the Annexure to this Form. In our opinion and to the best of our information and according to the explanations given to us, the particulars given in the Annexure are true and correct. Place : Date : For A B C & Co. LLP Chartered Accountants 8

Understanding the contents of Form No 3CEB We have examined the accounts and records of ENTITY NAME AND POSTAL ADDRESS - PAN No. that have been made available to us relating to the international transactions and specified domestic transactions entered into by the assessee during the previous year ending on 31st March 2015 Limits the scope of review to only accounts & records related to International Transactions and SDTs Therefore, no requirement on part of the Accountant to comment or certify on the true and fair view of the financial statements Onus placed on the taxpayer to maintain the list of accounts and records prescribed under law In our opinion proper information and documents as are prescribed have been kept by the assessee in respect of the international transaction (s) and specified domestic transaction (s) entered into so far as appears from our examination of the records of the assessee. Onus on accountant to examine whether the documents prescribed under Rule 10D have been maintained by the assesse A basic verification of the accounts, records and of the documentation maintained on a test check basis to verify whether proper records have been maintained and whether the information and documentation maintained is adequate and accurate needed 9

Understanding the contents of Form No 3CEB The particulars required to be furnished under section 92E are given in the Annexure to this Form. In our opinion and to the best of our information and according to the explanations given to us, the particulars given in the Annexure are true and correct. Taxpayer to prepare the Annexure Accountant is supposed to verify the Annexure to ensure that particulars are true and correct Review restricted to information reported / certified in Form No. 3CEB True and Correct view lays emphasis on the factual accuracy of the information provided Requirement is different from True and Fair view as required to be commented upon by a statutory auditor The Institute of Chartered Accountants of India has issued in August 2013 a Guidance Note on Report under Section 92E of the Income-tax Act, 1961 10

Responsibility of the taxpayer Identify all international transactions and specified domestic transactions during the year with AEs Compute the ALP as per Section 92C, including: Selection of the most appropriate method to be used Computation of the ALP (A TP Study would cover the above) Collate, maintain information / documentation prescribed u/ sec 92D Furnish completed Annexure to Form No. 3CEB to Accountant 11

Responsibility of the Accountant Review accuracy and completeness of information compiled by taxpayer Guide the taxpayer in identification of Aes, especially Deemed AEs Reconcile transactions in Form No.3CEB with audited accounts (related party disclosure, notes to account, ) Test-check agreements, invoices, negotiations, correspondence, ledger accounts, etc. Collate documents 100% CUP details, reimbursement / recovery details, documents evidencing the receipt of services and benefits, etc. Compare last year s Form 3CEB with current year s to ensure no regular international transactions is missed out Smell test - to identify unreported transactions e.g. Guarantees given on behalf of subsidiaries, interest free loan, loan taken and repaid in the same year, etc. Interview client to check if Deemed International Transaction exists Certify information contained in Form 3CEB is true and correct Different from concept of true and fair under statutory audit 12

Specific Concerns Form No 3CEB 13 13

Specific Concerns - Form No 3CEB Whether Form No 3CEB needs to be filed o By a Foreign entity o Where a person earns income not chargeable to tax under the provisions of the Act o Where a person earns income which is not taxable in India on account of provisions of the relevant Double Taxation Avoidance Agreement between India and the relevant country o Where a person enters into a transaction / arrangement wherein no income arises to such person Valuation of intangible assets and certification on the appropriateness of the same by the Accountant 14

Specific Concerns - Form No 3CEB Corporate Guarantee Business Restructuring Deemed International Transactions Where no guarantee fees charged, note needs to be provided in Form No 3CEB No place in the Form No 3CEB for disclosure of value of restructuring Covers cases where independent third party interposed by two AEs to remain out of TP ambit Where self adjustment is made, no place in the online Form No 3CEB for such disclosure Significant terms of restructuring needs to be disclosed Amendment in Section 92B(2) of the Act by Finance Bill 2014 15

Penalty leviable 16 16

Penalties: Section 271AA of the Act Section 271AA of the Act any person fails to keep and maintain any such information and document as required by section 92D (1) and (2) or fails to report any international transaction or maintains or furnishes any incorrect information or documents Stringent penal provisions in force Imperative for taxpayers to disclose all international / specified domestic transactions Form No 3CEB required to be filed even if international transactions do not exceed INR 1 crore 17

Q&A Answers & Questions 18

Thank You Presenter Details: Kedar V. Karve Director Global Transfer Pricing Services BSR & Co. LLP Thank You! 19 19