Given the fact that the company has transactions with its associated enterprise abroad, the Indian transfer pricing regulations would clearly be applicable in the instant case.
SCOPE:
Evaluate the existing transfer pricing policy of the group, if any, and the basis / methodologies for determining prices of international transactions with your associated enterprises
Examining the nature of internal and external comparables available, if any, and advising on their use for the purpose of the study
A detailed functional analysis of the Indian company and the overseas associated enterprises
An economic characterization of the associated enterprise ’ s transaction(s)
Perusing the contractual agreement between associated enterprises, if any
Running a benchmarking search on Indian transfer pricing database in accordance with the standard international norms with a view to benchmark the international transactions, if required
Assistance in maintenance of prescribed documentation under Indian transfer pricing legislation
Assistance in preparation and issuance of CA Certificate in Form 3CEB as required by the Indian Transfer Pricing Regulations