Transfer Pricing Documentation — Maintained Before the Date, Not After the Notice.
Rule 10D sets out what must exist and when. A study assembled after a notice arrives is not contemporaneous documentation, and the penalties apply regardless of whether the pricing was correct.
Contact UsRule 10D prescribes the information and documents that every person who has entered into an international transaction must maintain, and the word maintain carries temporal weight. The documentation must be in existence on or before the specified date — which is the date of filing the return under Section 92E, generally 31 October — and it must be retained for eight years from the end of the assessment year to which it relates. A study assembled in response to a notice is not documentation; it is a response, and it is assessed and weighted accordingly.
The prescribed information is organised into several categories. First, the ownership structure and profile of the international group — the parent, the chain of ownership and the group's business. Second, a description of the assessee's business, the industry conditions, the competitors and the regulatory environment. Third, the nature and terms of each international transaction, including duration, valuation methods, assumptions and enterprise-level economic conditions. Fourth, a functional analysis setting out functions performed, assets employed and risks assumed by each party. Fifth, the economic analysis — method selection and rejection, comparable data, the computation of the arm's length price and the adjustments made. Sixth, any other relevant information, including agreements, price lists, forecasts and market analyses relied on in the study.
Two penalty provisions run independently of whether any adjustment is made. Section 271AA imposes penalty for failure to keep and maintain the prescribed information and documents, for failure to report a transaction in the accountant's report, and for maintaining or furnishing incorrect information. The penalty is two per cent of the value of the international transaction for which documentation failure occurred, plus two per cent for any international transaction not reported. Section 271G imposes penalty of two per cent of the transaction value for failure to furnish information or documents called for by the Transfer Pricing Officer. These amounts accumulate quickly against transaction values in the crores, which is why documentation is the transfer pricing obligation least worth leaving to chance.
Our TP Documentation Services
Rule 10D Documentation Set
Preparation of the complete prescribed information and documents set, organised by clause, cross-referenced to the underlying records.
Contemporaneity Review
Review of existing documentation to confirm it was genuinely in place before the specified date, including version control and date metadata.
Group Profile and Ownership Structure
Description of the international group's ownership, business activities and the transfer pricing policies applicable to the Indian entity.
Functional Analysis Documentation
Detailed documentation of functions performed, assets employed and risks assumed, drawn from interviews, agreements and actual conduct rather than org charts.
Economic Analysis and Method Records
Documentation of method selection and rejection, comparable search, screening and selection, margin computation and adjustments.
Supporting Agreement Review
Review of intercompany agreements for consistency with the documented functional profile and the transactions as actually conducted.
Eight-Year Retention Framework
A document management protocol ensuring each year's documentation is retained for the statutory period and retrievable when called for.
Section 271AA and 271G Risk Review
Assessment of existing documentation gaps and the penalty exposure they carry, with a prioritised remediation plan.
Our Process
Gap Assessment
We review what exists against the Rule 10D checklist and identify the gaps, categorising them by penalty risk and by difficulty to address.
Information Gathering
We obtain from the business, from group finance and from agreements the underlying data the documentation must reflect.
Documentation Preparation
Each required element is prepared contemporaneously with the period it describes, cross-referenced to the underlying records.
Consistency Review
The documentation is reconciled with Form 3CEB, intercompany agreements, the Master File and group financial statements.
Retention and Access Framework
The final documentation set is stored with version control and a retrieval protocol covering the eight-year statutory period.
Why It Matters
Frequently Asked Questions
Is your transfer pricing documentation complete and contemporaneous?
Send us your transaction schedule and whatever documentation exists. We will assess the gaps, prepare what is missing while it can still be contemporaneous, and set up retention for the eight-year window.