The Transfer Pricing Audit Framework 2019 is effective from 15 December 2019.
Knowing how IRB will conduct their Transfer Pricing is important. It is like a student sitting for exam, this audit framework is akin to the exam syllabus. Knowing the syllabus you will be well prepared and ready when the audit letter arrived.
Audit Duration
Here’s some of the most important component mentioned in the Framework. Unlike conventional field income tax audit which only covers 3 years, Transfer Pricing Audit limited up to seven years of assessment. In event of fraud, willful default, and negligence, there will be no limitation.
Timeline to submit documentation
Taxpayers are given 14 calendar days to respond to the tax authority’s request for documents and information. For transfer pricing documentation, taxpayers are allowed 30 calendar days to submit the documents to the tax authority.
There is a shorter time frame for taxpayers to respond to the audit findings issued by the tax authority (18 calendar days instead of 21 days).
Since Transfer pricing documentation is now compulsory from 1 January 2020. it is crucial to bare in mind the objective of transfer pricing documentation is to substantiate the arm’s length nature of controlled transactions.
Where the transfer pricing documentation must be prepared accurately and in compliance with the relevant provisions of Income Tax Act, 1967, Transfer Pricing Rules 2012 and Transfer Pricing Guidelines 2012.