India eases bilateral transfer pricing norms 
Red Book
Red Book

Pre-cum-Mains GS Foundation Program for UPSC 2026 | Starting from 5th Dec. 2024 Click Here for more information

India eases bilateral transfer pricing norms 

Context

Income Tax Department’s announcement geared towards improving Ease of Doing Business

What has been done?

Income tax department has issued a clarification saying that it would allow mutual agreement procedures (MAPs) and advance pricing agreements (APAs) with all countries, abandoning a stance that disallowed such agreements with major trade partners like France, Germany, Italy, Singapore and South Korea

Earlier stance

  • India’s earlier stance meant that if treaties with a particular country did not contain a ‘corresponding adjustment’ clause, then the Indian revenue department would not enter into bilateral advance pricing agreements or mutual agreement procedures with those countries
  • In other words, any transfer pricing disputes would be settled through domestic litigation instead of bilateral arbitration

What are MAPs and APAs?

APAs are meant to settle potential disputes in advance, while MAPs lay out the procedure to settle a dispute once it has happened


Discover more from Free UPSC IAS Preparation For Aspirants

Subscribe to get the latest posts sent to your email.

Print Friendly and PDF
Blog
Academy
Community