NISHITH.TV
  • Mumbai
  • Silicon Valley
  • Bengaluru
  • Singapore
  • Mumbai BKC
  • New Delhi
  • New York
  • GIFT City

Locations

  • Mumbai
  • Silicon Valley
  • Bengaluru
  • Singapore
  • Mumbai BKC
  • New Delhi
  • New York
  • GIFT City
  • Content
  • Home
  • ABOUT US
  • NDA in the Media
  • Areas of Service
  • Research and Articles
  • Opportunities
  • Contact
  • NDACloud
  • Client Access
  • Member Access
  • NDA Connect
    Events and Calendar
  • Proud Moments
    How we perform
  • Nishith TV
    Knowledge anywhere, anytime
  • Deal Corner
    See our recent deals
  • Deal Talk
    Transactional insights unlocked
  • NDA Hotline
    Up to date legal developments
  • M&A Lab
    Case studies in M&A

Research and Articles

HTML

  • Think Tanks
  • Research at NDA
  • Research Papers
  • Research Articles
  • Policy Papers
  • Hotline
  • Imaginarium Ali Gunjan (Global Research Campus)
  • Japan Desk ジャパンデスク

Hotline


  • Capital Markets Hotline
  • Climate Change Related Legal Issues
  • Companies Act Series
  • Competition Law Hotline
  • Corpsec Hotline
  • Court Corner
  • Cross Examination
  • Deal Destination
  • Debt Funding in India Series
  • Dispute Resolution Hotline
  • Education Sector Hotline
  • FEMA Hotline
  • Financial Service Update
  • Food & Beverages Hotline
  • Funds Hotline
  • Gaming Law Wrap
  • GIFT City Express
  • Green Hotline
  • HR Law Hotline
  • iCe Hotline
  • Insolvency and Bankruptcy Hotline
  • International Trade Hotlines
  • Investment Funds: Monthly Digest
  • IP Hotline
  • IP Lab
  • Legal Update
  • Let's Shape the Future of Law Together
  • Lit Corner
  • M&A Disputes Series
  • M&A Hotline
  • M&A Interactive
  • Media Hotline
  • New Publication
  • Other Hotline
  • Pharma & Healthcare Update
  • Press Release
  • Private Client Wrap
  • Private Debt Hotline
  • Private Equity Corner
  • Real Estate Update
  • Realty Check
  • Regulatory Digest
  • Regulatory Hotline
  • Renewable Corner
  • SEZ Hotline
  • Social Sector Hotline
  • Tax Hotline
  • Technology & Tax Series
  • Technology Law Analysis
  • Telecom Hotline
  • The Startups Series
  • White Collar and Investigations Practice
  • Yes, Governance Matters.
  • Japan Desk ジャパンデスク

Tax Hotline


Notification of applicable rules for transfer pricing in India

August 23, 2001

The Indian Government has notified the rules in relation to transfer pricing vide notification No.S.O.808 (E) dated 21.8.2001, inserting new rules 10A to 10E in the Income tax Rules, 1962 (“Rules”). These Rules prescribe the manner in which an arm’s length price in relation to an international transaction is to be determined by the “most appropriate method”, the factors to be considered in selecting the most appropriate method, and the information and the documents required to be maintained and furnished by the taxpayer.

There have been some significant changes to the draft transfer pricing rules, such as:

  1. The taxpayers have been allowed the use of multiple year data pertaining to comparable transactions in determining the arm’s length price.
  2. Taxpayers are free to select the most appropriate method as long as their selection is made taking into account the factors prescribed.
  3. Documentation requirements have been considerably scaled down to now require only such information as is relevant to the transactions entered into.
  4. Documentation requirements shall not be applicable in cases where the aggregate value of international transactions entered into during a year is upto Rs.10 million.


The Central Board of Direct Taxes also proposes to issue a circular shortly, clarifying the following:

  • The tax authorities shall not make any adjustments to the arm’s length price adopted by the taxpayer if such price is upto 5% less or 5% more than the price determined by the Assessing Officer.
  • No adverse view shall be taken by the tax authorities in case documentation requirements are not fulfilled in respect of transactions entered during the period commencing April 1, 2001 to August 31, 2001.
  • It is being made abundantly clear that the tax authorities can alter the pricing adopted by the taxpayer only in cases and circumstances specified in section 92C(3) of the Indian Income-tax Act, 1961, namely, where necessary documentation has not been maintained or furnished, or the methods prescribed for determining arm’s length prices have not been followed, or the data used by the taxpayer is not reliable or correct.
 
 

Source: August 23, 2001, Press Information Bureau

Mission and Vision


Distinctly Different

What's New


2025: The Year That Was in Technology, Media & Telecommunications Law and Policy in India
Technology Law Analysis: January 12, 2026
Regulatory Wrap 2025: Food Industry in India
Pharma & Healthcare Update: January 07, 2026

Events


Webinar

Time for Global Businesses to Strategically Navigate India’s New Data Protection Law
December 18, 2025

Seminar

Exclusive Lunch Dialogue with New Jersey Governor Phil Murphy
September 24, 2025

Round Table

From Traction to Transaction: Bridging the Gap – Co-creating the Next Era of Innovation, Investment & Global Leadership hosted by Primus Partners and in partnership with the Meridian International Centre - iCET x Deeptech in Defense: How and When?
October 29, 2025

News Roundup


News Articles

2025 Watchlist: Life Sciences Sector India
April 04,2025

Quotes

BCI amends rules to let foreign law firms operate with partners in India
May 15,2025

Newsletters


Technology Law Analysis

2025: The Year That Was in Technology, Media & Telecommunications Law and Policy in India
January 12, 2026


Pharma & Healthcare Update

Regulatory Wrap 2025: Food Industry in India
January 07, 2026


Pharma & Healthcare Update

Regulatory Wrap 2025: Medical Devices Industry in India
January 06, 2026


  • Disclaimer
  • Content
  • Feedback
  • Walkthrough
  • Subscribe
Nishith Desai Associates ©2026 All rights reserved.