The Classic Partners LLP
Transfer Pricing Services
A complete transfer pricing practice under one roof — planning, documentation, benchmarking, Form 3CEB audit, assessment and TPO representation, DRP objections, and appeals. One team, end to end.
Engage Our TP TeamFull-Spectrum Transfer Pricing Support
Whether you are setting an intercompany pricing policy for the first time or defending a multi-crore adjustment, our transfer pricing team covers the entire lifecycle — design, compliance, controversy, and certainty.
What We Do
TP Planning & Policy
Intercompany pricing models grounded in Indian TP law and OECD guidance.
TP Study & Benchmarking
Transfer pricing studies with database-driven benchmarking analysis.
Documentation
Rule 10D files, Master File, and CbCR — see TP documentation.
Form 3CEB Audit
Accountant's report certification — see transfer pricing audit.
Assessment & TPO
Representation through TP assessment proceedings.
Coverage Across Transaction Types
- Cross-border: goods, intra-group services, royalties, cost sharing, financing, and guarantees — see international transfer pricing.
- Domestic: tax-holiday and related-party dealings under Section 92BA — see domestic transfer pricing.
- Certainty routes: safe harbour elections and Advance Pricing Agreements (APAs), including the new multi-year ALP option.
- Treaty interface: MAP coordination through our international tax services.
Why The Classic Partners
- CA-led execution with hands-on TPO, DRP, and ITAT experience.
- Defensible economics — benchmarking built to survive scrutiny, not just file on time.
- Deadline discipline — Form 3CEB and documentation locked before the October due date.
- Single point of contact from policy design through appellate closure.
Frequently Asked Questions
What do transfer pricing services include?
Policy design, transfer pricing study and benchmarking, Rule 10D documentation, Master File and CbCR compliance, Form 3CEB certification, representation before the TPO and DRP, and appeals before CIT(A) and ITAT.
Who needs transfer pricing services in India?
Any enterprise transacting with associated enterprises across borders, and businesses with specified domestic transactions above Rs. 20 crore, including subsidiaries of foreign groups, Indian multinationals, and tax-holiday units.
When should a company engage a TP consultant?
Ideally before transactions are priced — at policy stage — and in any case well before the year-end, so benchmarking and documentation support the position rather than retro-fitting it.
Can one firm handle both compliance and litigation?
Yes, and it helps: the team that built the benchmarking defends it before the TPO, DRP, and appellate forums with full knowledge of the underlying economics.
Do you assist with APAs and safe harbour?
Yes. We evaluate safe harbour eligibility, prepare and negotiate Advance Pricing Agreements, and apply the multi-year ALP option introduced by the Finance Act 2025 where beneficial.
Looking for a complete TP partner?
From policy to appeal, get one accountable team for every transfer pricing need.
Contact Us