Transfer Pricing for Small Businesses: When ₹20+ Crore Transactions Trigger Documentation
Demystifying transfer pricing for domestic and international transactions, Form 3CEB audit, safe harbor rules, and APA
Written by
CA Ashama Rajawat
Transfer pricing compliance now applies to small businesses with ₹20+ crore transactions with related parties (including domestic!). Violate arm's length principle = 200% penalty on underreported income.
What is Transfer Pricing?
Transfer pricing ensures transactions between related parties (group companies, sister concerns, holding-subsidiary) happen at market rates ("arm's length price"), not artificially low/high to shift profits and evade tax.
Scenario: Your company sells goods to your subsidiary
- • Market price: ₹100/unit
- • You sell to subsidiary at: ₹60/unit (below market)
- • Your profit: Reduced by ₹40/unit (lower tax)
- • Subsidiary profit: Increased by ₹40/unit
- • Tax Dept won't accept this!
When Transfer Pricing Applies
| Transaction Type | Threshold | Documentation Required |
|---|---|---|
| International Transactions | ANY amount | Yes (Form 3CEB) |
| Domestic Specified Transactions | > ₹20 crore | Yes (Form 3CEB) |
| Unrelated Party Transactions | N/A | No |
Form 3CEB: Transfer Pricing Audit
Chartered Accountant's report certifying that your related-party transactions comply with arm's length pricing.
When Required:
- • International transactions of any value
- • Domestic specified transactions > ₹20 crore
Due Date: November 30 (same as audit report)
Cost: ₹25,000 - ₹1,00,000 (CA fees)
Arm's Length Price Methods
Comparable Uncontrolled Price (CUP)
Compare your price with similar transactions between unrelated parties
Resale Price Method (RPM)
Based on resale price minus reasonable profit margin
Cost Plus Method (CPM)
Cost + standard markup percentage
Transactional Net Margin Method (TNMM)
Most common for services. Compare net profit margins with similar companies
Safe Harbor Rules
Safe Harbor = Pre-determined margins accepted by Income Tax Department. No need to prove arm's length price if you meet these margins.
Example Safe Harbor Rates:
- • Software development services: 20% markup on cost
- • IT-enabled services: 22% markup
- • Contract R&D: 24% markup
Benefit: Opt for safe harbor, no transfer pricing scrutiny for 5 years!
Advance Pricing Agreement (APA)
APA is a formal agreement with Income Tax Department determining transfer pricing methodology upfront for 5 years.
Process:
- • File application with detailed transaction data
- • IT Dept reviews, negotiates, finalizes methodology
- • Agreement signed for 5 years
- • Zero transfer pricing risk during this period
Cost: ₹10L - ₹50L (including CA fees, application fees)
Worth it for: Companies with recurring large international transactions
Penalties for Non-Compliance
200% Penalty
On underreported income due to non-arm's length pricing (Section 270A)
₹1 Lakh Penalty
For not filing Form 3CEB or late filing (Section 271BA)
Assessment Adjustment
IT Dept can adjust your income upward based on benchmark analysis, increasing tax liability significantly
Compliance Checklist
Identify all related party transactions (domestic + international)
Check if aggregate value exceeds ₹20 crore (domestic) or any amount (international)
Prepare transfer pricing documentation (comparables, pricing method)
Get Form 3CEB audit from CA by November 30
File ITR with Form 3CEB attached
Consider safe harbor or APA for long-term certainty
Conclusion
Transfer pricing is no longer just an MNC concern. Small businesses with ₹20 crore+ domestic related-party transactions or ANY international transactions must comply. Document your pricing methodology, get Form 3CEB audit, and consider safe harbor rules for simplified compliance. The 200% penalty makes this too expensive to ignore.