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Advance Pricing Agreement (APA)
- Evaluation
Date: 23/02/2022
Contents
• Background
• Why APA?
• APA - Key benefits
• Objective proposed to be achieved by APA
• Overview of Advance Pricing Agreement (APA)
• APA - Phases
• APA - Coverage
• Indian APA regime – Story so far
• Experience from concluded APAs
• SBC experience
Advance Pricing
Agreement
Introduction of
secondary
adjustment
Introduction of
risk based
assessment
Emerging TP
disputes
Long drawn
domestic
litigation cycle
High pitched
assessments
and introduction
of faceless
appellate
proceedings
Alignment to
BEPS &
introduction of 3
tiered
documentation
requirement
Why APA?
APA – Key
Benefits
Generic benefits:
• In-depth analysis of actual receipt and benefit.
• Avoidance of double taxation unlike Unilateral APA
• Negotiated method for determination of ALP
• Detailed FAR analysis can help in resolving potential TP disputes
• Once an arm’s length mark-up is agreed between Competent Authorities (“CAs”)
there will be a reasonable basis for renewal
• Group TP policy gets traction.
• Commercial rationale for low/no system profit & profit allocation to various
jurisdictions can be discussed.
• Overall industry challenges can be discussed in greater detail.
• Certainty on FAR through detailed discussions & site visit
• Relevant economic adjustment can be obtained (if required and supported
by data).
• Comparability challenges can be mitigated through margin certainty.
How can an
APA help
Bilateral APA benefits
Overview of
Advance
Pricing
Agreement
(APA)
APA years and rollback
years
APA is allowed for a
maximum period of 5 years
(advance years) and a roll
back of 4 years
immediately preceding the
APA years.
Optional pre-filing
An optional pre-filing
consultation has been
prescribed to get an
understanding of the
thoughts of the APA
authorities for the
international transactions
for which APA is proposed
to be filed – pre-consulting
can be on a “no-name”
basis also.
Types of APA
Unilateral, bilateral or
multilateral APA can be
filed.
For continuing
transactions, APA
application is required to
be filed before the first day
of the financial year which
is part of the advance
years (i.e. if the APA years
are from FY 2023-24 to
2027-28, application needs
to be filed on or before
March 31, 2023)
APA - Introduction
When to apply-in case of
existing transactions
Agreement between taxpayer & Indian
Revenue Authority (IRA)
Renewal of APA possible after
expiry of 5 years
Binding on taxpayer & tax authority for
the transaction covered by APA
APA will be declared as void if obtained by
fraud or misrepresentation
APA will be cancelled if critical
assumptions are violated
Use of any method (whether specified
or not) with adjustments/ variations as
necessary
Valid for maximum period of 5
consecutive years & rollback for 4
prior years
Can be unilateral, bilateral, or
multilateral
Freedom from TP assessments and
limited compliance post APA
Broadly similar to APA
schemes of other countries
Key features
India APA program – salient features
Benefits are titled more favourably to go in for an APA as it would give relief from cost, time and
efforts involved in domestic litigation.
Benefits
Costs
• One time APA filing fees to be remitted to
government
• One time costs to obtain APA
• Consultants fees to obtain APA
• Annual Compliance Audit costs after signing
APA
• Savings in Compliance cost
- TP Compliance
• Savings in Litigation cost
- TP Assessment
- CIT(A)/DRP
- ITAT
- HC and SC
- Remand back / Order giving effect
• Savings in Tax, Interest and Penalty outflow on account of TP
adjustment
CostBenefit Analysis for opting for APA
Pros are tilted more favourably to go in for an APA as it would achieve tax certainty and relief from the
protracted litigation.
Cons
• Discussions on potential emerging issues may take place
during APA process
• APA will not be valid if there is any change in the business
model or critical assumptions of the applicant
• Lack of formal firewall provisions
• Unilateral APA does not eliminate the risk of double taxation
• Requirement to provide exhaustive information on facts
Pros
• Certainty for 5 future years and 4 roll back years
• Saves time and resources as it eliminates the long drawn
litigation process
• Certainty can be obtained for related party transactions
• Flexibility in amendment / revision / withdrawal is available to
the taxpayer
• Critical assumptions flexible to provide for future transactions
• Provides tax certainty with regard to determination of arm’s
length price of the international transactions
• Bilateral APA – alleviates double taxation – option to convert
Unilateral APA to Bilateral APA prior to finalization
• Concluded APA will have persuasive value for years open for
adjudication under domestic litigation prior to rollback years
Pros and Cons for opting for APA
International transactions Value APA filing fees (INR)
Less than or equal to INR 100 Crores 10,00,000
INR 100 Crores to 200 Crores 15,00,000
More than INR 200 Crores 20,00,000
Rollback (if opted) 5,00,000
APA in India – Government Fees
Filing of APA
application
Receipt of
information
request from
APA
authorities
Site Visit
Further
information
based on site
visit
Negotiation /
Meetings
Release of
draft
agreement
by APA
authorities
Formal APA
sign off
Filing to be made by
March 31, 2023 for
period from FY 2023-
24
Within 6 months of
filing of APA
application
Within 3 months of
responding to the initial
information request
Within 1 to 1.50 years of the site visit and
responding to the information post site visit
APA - Milestones
Snapshot of the Indian APA team
Competent Authority
Joint Secretary Foreign
Tax Division
Principal Chief Commissioner of
Income Tax
APA
(Commissioner)
Additional
Commissioner
APA-I (New Delhi)
Support team
Additional
Commissioner
APA-II (Mumbai)
Additional
Commissioner
APA-III
(Bangalore)
Joint Secretary - 1
APA Mumbai
Director APA
Subordinate Staff
Joint Secretary - 2
Chairman CBDT
APA Set-up Audit Set-up
Commissioners of
Transfer Pricing (all over
India) Territorial
jurisdiction
Transfer Pricing Officers
APA Bangalore
Support team Support team
APA 1 Delhi
APA 2 Delhi
APA - Phases
APA - PHASES
FY 23-24 FY 24-25 FY 25-26 FY 26-27 FY 27-28
PERIOD COVERED BY APA
* APA application to be filed by March 31, 2023
# Rollback, if opted for – 4 years prior to FY 23-24 can be covered
APA - TENURE
PHASE 1
Pre-filing
PHASE 2
Main Application
PHASE 3
Fact-finding &
Negotiation
PHASE 4
Drafting &
Signing APA
PHASE 5
Post APA
Compliance
APA - Phases
• Preparation of pre-filing application
• Collection & confirmation of basic information
• Formulation of strategy
• Economic analysis
• Preparation of pre-filing application in Form 3CEC – Application for a pre-filing meeting
• Finalization of Form 3CEC
• Submission of pre-fling application
• Filing of Form 3CEC with DGIT
• Pre-filing meeting with APA team
• Furnishing additional information, if any required by APA team
• Concluding the issues in consensus with APA Team
• Review and analysis of written communication from APA team
Phase 1 Phase 2 Phase 3 Phase 4 Phase 5
Phase 1 - Pre-filing application
Preparation and filing of main APA application
• Strategy determination based on pre-filing
• Detailed functional analysis with each divisional personnel
• Collation and review of detailed information/ data in line with the strategy
• Analysis of any third party comparable prices available in India and / or outside India including application of
Internal RPM / Internal TNMM for each of the division
• Detailed analysis of payment of management charges including cost pooling mechanism, cost sharing
arrangement, allocation keys, documentary evidences etc.
• Preparation of draft APA filing in Form 3CED including rollback application
• Discussions to finalize the positions on all issues/points
• Finalization and filing of Form 3CED
• Analysis of implication of any open audit for any rollback year
• Implications of positions taken in TP documentation on the APA application
Phase 1 Phase 2 Phase 3 Phase 4 Phase 5
Phase 2 - Main application including rollback
Fact- finding & Negotiation discussion with APA team
• Assistance in preliminary processing of APA application and removal of defect, if any as per Rule 10K
• Negotiation meeting with the APA team
• Compilation, review and submission of additional information as requested by the APA team
• Preparing draft submission the queries of APA team
• Assistance during site visits and assisting the key personnel in preparing for the site visits
• Responding to the detailed enquiries as provided in Rule 10L(5)
• Additional rounds of negotiation meeting with the APA team
• Informal discussion with the APA team to discuss the arm’s length positions
Phase 1 Phase 2 Phase 3 Phase 4 Phase 5
Phase 3 - Fact-finding & Negotiation
Drafting & Finalization of APA between Applicant and CBDT
• Preparation and review of the terms of APA agreement
• Facilitating meeting & discussions with the APA team
• Discussion on various clauses of APA agreement with Applicant’s team and its
implications
• Drafting and reviewing the critical assumptions
• Implications of APA terms on the rollback years and discussion on any impacts
• Discussion on the yearly compliances (minimum) post APA
Phase 1 Phase 2 Phase 3 Phase 4 Phase 5
Phase 4 - Drafting & Signing of APA
Post APA Compliance
• Assistance in preparation of Annual Compliance Report in Form 3CEF for each year covered under the APA under
Rule 10O
• Assistance and Representation before the Transfer Pricing Officer in relation to Compliance Audit of the agreement
for each year covered under the APA under Rule 10P.
• Filing of modified return of income referred to in Section 92CD in respect of rollback and closed years
• Assistance before AO to issue assessment order in conjunction with modified return
• Withdrawal of appeals etc. before DRP/CIT(A)/ITAT, if any
• Computation of tax and interest in pursuance of APA
Phase 1 Phase 2 Phase 3 Phase 4 Phase 5
Phase 5 – Post APA Compliance
APA - Coverage
Prospective years
covered by the APA
application
5 prospective financial years can be covered
Rollback years covered
by the APA application
Option to cover a block of 4 years preceding the APA years
Coverage of
international
transactions
a. Existing international
transactions
b. Option to cover proposed
international transactions
Associated enterprises • Any AE in any jurisdiction can be covered
Type of APA
• Unilateral APA (UAPA)
• Bilateral APA (BAPA)
• Option of conversion from UAPA to BAPA
Coverage of APA
Indian APA
Regime – Story
So Far
APA filings up to March - 2019
• Total 1155 applications filed in six APA cycles.
• Close to 82% of the applications filed are unilateral.
• Shifting trend to bilateral APA. In last two years, one
third applications are bilateral.
• Of the total bilateral applications, 80% applications are
with US, UK ,Japan and Switzerland.
• Over the period, 44 unilateral applications have been
converted to bilateral
• Only two bilateral has been converted to unilateral.
• New jurisdictions like Finland, Germany, France are
new jurisdictions which have opened up for bilateral
APA after India’s relaxation in position for article 9(2).
117
206
192
113
78
115 123
29 26 14 19 23
53 47
146
232
206
132
101
168
170
0
50
100
150
200
250
2012-13 2013-14 2014-15 2015-16 2016-17 2017-18 2018-19
No.
of
APAs
filed
Financial Years
Total APA filings
Unilateral Bilateral Total
101
57
28
14 8 7 7 6 6 5 4 4 3 1 1 1
0
50
100
150
No.
of
BAPA
applications
filed
Countries
No. of BAPA applications filed-country wise
No. of BAPA applications filed
Total Applications Filed
Bilateral applications filed country-wise*
India APA Scheme
APA conclusion
Total 300 - 267 Unilateral and 33 Bilateral APA concluded upto Nov, 2019
Source: Annual Report on the APA programme in India FY 2018-19 and press releases issues by the CBDT
• Significant momentum gained in 3rd year
with 53 APAs signed in FY 2015 –16 and
80 in in the 4th year i.e in FY 2016-17.
However, the number of conclusions
dipped afterwards.
• The reason for fall in number of
conclusions is rise in number of complex
APAs and shortage of manpower in the
APA teams.
5 3
53
80
58
41
27
0 1 2
8 9 11
2
5 4
55
88
67
52
29
0
10
20
30
40
50
60
70
80
90
100
2013-14 2014-15 2015-16 2016-17 2017-18 2018-19 2019-20
No.
of
APAs
concluded
Financial Years
APA conclusions in India
Unilateral Bilateral Total
Total active inventory of cases pending with Indian government is 750 cases.
India APA Scheme (continued)
Sectoral analysis upto March - 2019
Economic activity Unilateral Bilateral Total
Service 162 10 172
Manufacturing 40 7 47
Trading 9 14 23
Diversified 29 0 29
Total 240 31 271
162
40
9
29
10 7 14
0
172
47 23
29
0
50
100
150
200
Service Manufacturing Trading Diversified
Approx.
no.
of
APAs
concluded
Economic activity
Sectoral analysis of the concluded APAs
Unilateral
Bilateral
Total
Service sector is the largest contributor to India’s gross domestic product and is also at the forefront of India’s
international trade. Maximum number of APAs concluded for international transactions in service sector.
Data pertains to total 271 concluded APAs
Concluded APAs
Industry-wise
65
4
0
37
21
16
8 10 10
6 8
3 3
7 8
3
6 4 2 2 1 2 0 2 2 2 1 3
2 0 2 2 0 0 0 0 0
5
0 0 0 2 0 0 1 0 0 1 0 0
5
0 0 0 0
0
10
20
30
40
50
60
70
No.
of
APAs
concluded
Nature of industry
Industry-wise APA conclusions
Unilateral Bilateral
Close to 40% of the total unilateral APAs are concluded for information technology and health and hygiene
industries.
There are 14 different types of industries that have availed the Indian APA programme.
Source: Annual Report on the APA programme in India FY 2018-19
Concluded APAs
During FY 2018-19, maximum number of APAs concluded for payment of royalty and intra group services unlike earlier years when
IT and ITeS topped the list.
Data pertains to 271 concluded APAs concluded upto March - 2019
Nature of covered transactions
0
20
40
60
80
100
120
No.
of
times
these
transactions
have
been
covered
in
an
APA
Nature of covered transactions
APA conclusions-transaction wise
Concluded APAs
Transaction-wise
75.0%
13.2%
8.5%
1.0%
0.3%
0.3% 0.3%
1.3%
0.1%
Frequency of the methodology being used
TNMM Other Method CUP Method Cost Plus Method Internal TNMM Residual PSM Resale Price Method Profit Split Method Internal Resale Price Method
Source: Aggregate data based on APA Annual report for FY 2016-17, FY 2017-18 and FY 2018-19
Transfer pricing methods used
Comparative timelines: Unilateral v Bilateral
Source: Annual Report on the APA programme in India FY 2018-19
• Average time taken by India to conclude
unilateral APA is 32.5 months. A
comparative with USA shows an average
of 40.4 months.
• Average time taken by India to conclude
bilateral APA is 44.32 months. A
comparative with the USA is 46.9
months.
87 unilateral applications and 31 bilateral applications are still pending which have completed 5 years APA tenure.
9
46
97
65
13 10
1 1
3
16
6
4
0
2
4
6
8
10
12
14
16
18
0
20
40
60
80
100
120
Within 12
months
13-24
months
25-36
months
37-48
months
49-60
months
61-72
months
No.
Of
Apas
Concluded
No. of months taken for APA processing
Time taken for APA conclusions
Unilateral APAs concluded Bilateral APAs concluded
Time taken for APA conclusions till date
SBC
Experience
Our experience
Aim of the APA team is to reach a “fair” solution within a reasonable timeframe.
• APA is a confidence building process – objective of the APA team is to settle down/conclude the APAs at
a reasonably/mutually agreeable appropriate method (price/mark-up)
• Positive mindset/approach of the APA team during meetings/discussions/negotiations
• Past years transfer pricing adjustments normally not a criteria to begin the discussion process – APA
team has sometimes even expressed concerns on the approach adopted by the tax officer (transfer
pricing officer) during routine audit stage
• Site visit provides better understanding to the APA team of the functions, assets & risk of the taxpayer
which assists them in taking a rationale and informed view in the case instead of using approach on
conjectures and surmises.
• APA team is keen to resolve the dispute as opposed to finding faults in the approach adopted by the
taxpayers
• The APA team has been expanded by the Government to expedite the conclusion of the cases.
• India has commenced negotiations with many countries including US, UK, Japan, China, Sweden,
Netherlands, Australia etc.
• Joint site visits has been a new trend in bilateral APA which provide clarity on FAR to both the competent
authorities for fair negotiations.
Six rounds of APA’s completed (conclusion cycles)
• Core team is Big4 alumni and was involved in numbers of APA filings,
negotiations and conclusions
• SBC team was involved in the APAs concluded in Electronic Industry
Extensive experience in
the Indian APA program
• Developed key relationships with the APA authorities
• SBC’s network comprises of former tax officers, ex-regulators, senior
counsels who share their expert opinions & views for taking transfer
pricing positions
Significant interaction
with Indian revenue
authorities
• Leverage from strong APA experience of SBC network firms in
developed countries like the China, Japan, USA, Canada, and the UK.
• Extensive global network of PrimeGlobal—assistance in
multilateral/bilateral APAs
Strong local and
international presence
• Strong leadership team having cumulative experience of more than 12
years in negotiating tax treaties and tax representation
• Professionals drawn from Indian revenue department, lawyers, and
economists, among others
Significant team
experience
Our credentials and experience in APA process
Contact us
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560004
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Andhra Pradesh
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Pradesh
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Pradesh
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UAE
USA Address: SBC LLC, 8 The Green, Suite A in the City
of Dover, Delaware - 19901
Suite 5, Level 3, Reliance Cyber
Ville,, Madhapur, Hitech City,
Hyderabad – 500081
Thank You
w w w .steadfastconsulta n ts. in
SBC refers to one or more of Steadfast Business Consulting LLP (LLPIN: AAL-1503), a Hyderabad based Limited Liability Partnership, and its network of member firms, branches and affiliates. SBC provides tax, consulting, audit and financial advisory
services to clients within and beyond borders spanning multiple industries. With local connect and expertise put together with global outlook and capabilities, SBC believes in providing holistic solutions to clients tailored to meet business objectives and
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Transfer Pricing - Advance Pricing Agreement (APA) Regime in India.pdf

  • 1. Advance Pricing Agreement (APA) - Evaluation Date: 23/02/2022
  • 2. Contents • Background • Why APA? • APA - Key benefits • Objective proposed to be achieved by APA • Overview of Advance Pricing Agreement (APA) • APA - Phases • APA - Coverage • Indian APA regime – Story so far • Experience from concluded APAs • SBC experience
  • 4. Introduction of secondary adjustment Introduction of risk based assessment Emerging TP disputes Long drawn domestic litigation cycle High pitched assessments and introduction of faceless appellate proceedings Alignment to BEPS & introduction of 3 tiered documentation requirement Why APA?
  • 6. Generic benefits: • In-depth analysis of actual receipt and benefit. • Avoidance of double taxation unlike Unilateral APA • Negotiated method for determination of ALP • Detailed FAR analysis can help in resolving potential TP disputes • Once an arm’s length mark-up is agreed between Competent Authorities (“CAs”) there will be a reasonable basis for renewal • Group TP policy gets traction. • Commercial rationale for low/no system profit & profit allocation to various jurisdictions can be discussed. • Overall industry challenges can be discussed in greater detail. • Certainty on FAR through detailed discussions & site visit • Relevant economic adjustment can be obtained (if required and supported by data). • Comparability challenges can be mitigated through margin certainty. How can an APA help Bilateral APA benefits
  • 8. APA years and rollback years APA is allowed for a maximum period of 5 years (advance years) and a roll back of 4 years immediately preceding the APA years. Optional pre-filing An optional pre-filing consultation has been prescribed to get an understanding of the thoughts of the APA authorities for the international transactions for which APA is proposed to be filed – pre-consulting can be on a “no-name” basis also. Types of APA Unilateral, bilateral or multilateral APA can be filed. For continuing transactions, APA application is required to be filed before the first day of the financial year which is part of the advance years (i.e. if the APA years are from FY 2023-24 to 2027-28, application needs to be filed on or before March 31, 2023) APA - Introduction When to apply-in case of existing transactions
  • 9. Agreement between taxpayer & Indian Revenue Authority (IRA) Renewal of APA possible after expiry of 5 years Binding on taxpayer & tax authority for the transaction covered by APA APA will be declared as void if obtained by fraud or misrepresentation APA will be cancelled if critical assumptions are violated Use of any method (whether specified or not) with adjustments/ variations as necessary Valid for maximum period of 5 consecutive years & rollback for 4 prior years Can be unilateral, bilateral, or multilateral Freedom from TP assessments and limited compliance post APA Broadly similar to APA schemes of other countries Key features India APA program – salient features
  • 10. Benefits are titled more favourably to go in for an APA as it would give relief from cost, time and efforts involved in domestic litigation. Benefits Costs • One time APA filing fees to be remitted to government • One time costs to obtain APA • Consultants fees to obtain APA • Annual Compliance Audit costs after signing APA • Savings in Compliance cost - TP Compliance • Savings in Litigation cost - TP Assessment - CIT(A)/DRP - ITAT - HC and SC - Remand back / Order giving effect • Savings in Tax, Interest and Penalty outflow on account of TP adjustment CostBenefit Analysis for opting for APA
  • 11. Pros are tilted more favourably to go in for an APA as it would achieve tax certainty and relief from the protracted litigation. Cons • Discussions on potential emerging issues may take place during APA process • APA will not be valid if there is any change in the business model or critical assumptions of the applicant • Lack of formal firewall provisions • Unilateral APA does not eliminate the risk of double taxation • Requirement to provide exhaustive information on facts Pros • Certainty for 5 future years and 4 roll back years • Saves time and resources as it eliminates the long drawn litigation process • Certainty can be obtained for related party transactions • Flexibility in amendment / revision / withdrawal is available to the taxpayer • Critical assumptions flexible to provide for future transactions • Provides tax certainty with regard to determination of arm’s length price of the international transactions • Bilateral APA – alleviates double taxation – option to convert Unilateral APA to Bilateral APA prior to finalization • Concluded APA will have persuasive value for years open for adjudication under domestic litigation prior to rollback years Pros and Cons for opting for APA
  • 12. International transactions Value APA filing fees (INR) Less than or equal to INR 100 Crores 10,00,000 INR 100 Crores to 200 Crores 15,00,000 More than INR 200 Crores 20,00,000 Rollback (if opted) 5,00,000 APA in India – Government Fees
  • 13. Filing of APA application Receipt of information request from APA authorities Site Visit Further information based on site visit Negotiation / Meetings Release of draft agreement by APA authorities Formal APA sign off Filing to be made by March 31, 2023 for period from FY 2023- 24 Within 6 months of filing of APA application Within 3 months of responding to the initial information request Within 1 to 1.50 years of the site visit and responding to the information post site visit APA - Milestones
  • 14. Snapshot of the Indian APA team Competent Authority Joint Secretary Foreign Tax Division Principal Chief Commissioner of Income Tax APA (Commissioner) Additional Commissioner APA-I (New Delhi) Support team Additional Commissioner APA-II (Mumbai) Additional Commissioner APA-III (Bangalore) Joint Secretary - 1 APA Mumbai Director APA Subordinate Staff Joint Secretary - 2 Chairman CBDT APA Set-up Audit Set-up Commissioners of Transfer Pricing (all over India) Territorial jurisdiction Transfer Pricing Officers APA Bangalore Support team Support team APA 1 Delhi APA 2 Delhi
  • 16. APA - PHASES FY 23-24 FY 24-25 FY 25-26 FY 26-27 FY 27-28 PERIOD COVERED BY APA * APA application to be filed by March 31, 2023 # Rollback, if opted for – 4 years prior to FY 23-24 can be covered APA - TENURE PHASE 1 Pre-filing PHASE 2 Main Application PHASE 3 Fact-finding & Negotiation PHASE 4 Drafting & Signing APA PHASE 5 Post APA Compliance APA - Phases
  • 17. • Preparation of pre-filing application • Collection & confirmation of basic information • Formulation of strategy • Economic analysis • Preparation of pre-filing application in Form 3CEC – Application for a pre-filing meeting • Finalization of Form 3CEC • Submission of pre-fling application • Filing of Form 3CEC with DGIT • Pre-filing meeting with APA team • Furnishing additional information, if any required by APA team • Concluding the issues in consensus with APA Team • Review and analysis of written communication from APA team Phase 1 Phase 2 Phase 3 Phase 4 Phase 5 Phase 1 - Pre-filing application
  • 18. Preparation and filing of main APA application • Strategy determination based on pre-filing • Detailed functional analysis with each divisional personnel • Collation and review of detailed information/ data in line with the strategy • Analysis of any third party comparable prices available in India and / or outside India including application of Internal RPM / Internal TNMM for each of the division • Detailed analysis of payment of management charges including cost pooling mechanism, cost sharing arrangement, allocation keys, documentary evidences etc. • Preparation of draft APA filing in Form 3CED including rollback application • Discussions to finalize the positions on all issues/points • Finalization and filing of Form 3CED • Analysis of implication of any open audit for any rollback year • Implications of positions taken in TP documentation on the APA application Phase 1 Phase 2 Phase 3 Phase 4 Phase 5 Phase 2 - Main application including rollback
  • 19. Fact- finding & Negotiation discussion with APA team • Assistance in preliminary processing of APA application and removal of defect, if any as per Rule 10K • Negotiation meeting with the APA team • Compilation, review and submission of additional information as requested by the APA team • Preparing draft submission the queries of APA team • Assistance during site visits and assisting the key personnel in preparing for the site visits • Responding to the detailed enquiries as provided in Rule 10L(5) • Additional rounds of negotiation meeting with the APA team • Informal discussion with the APA team to discuss the arm’s length positions Phase 1 Phase 2 Phase 3 Phase 4 Phase 5 Phase 3 - Fact-finding & Negotiation
  • 20. Drafting & Finalization of APA between Applicant and CBDT • Preparation and review of the terms of APA agreement • Facilitating meeting & discussions with the APA team • Discussion on various clauses of APA agreement with Applicant’s team and its implications • Drafting and reviewing the critical assumptions • Implications of APA terms on the rollback years and discussion on any impacts • Discussion on the yearly compliances (minimum) post APA Phase 1 Phase 2 Phase 3 Phase 4 Phase 5 Phase 4 - Drafting & Signing of APA
  • 21. Post APA Compliance • Assistance in preparation of Annual Compliance Report in Form 3CEF for each year covered under the APA under Rule 10O • Assistance and Representation before the Transfer Pricing Officer in relation to Compliance Audit of the agreement for each year covered under the APA under Rule 10P. • Filing of modified return of income referred to in Section 92CD in respect of rollback and closed years • Assistance before AO to issue assessment order in conjunction with modified return • Withdrawal of appeals etc. before DRP/CIT(A)/ITAT, if any • Computation of tax and interest in pursuance of APA Phase 1 Phase 2 Phase 3 Phase 4 Phase 5 Phase 5 – Post APA Compliance
  • 23. Prospective years covered by the APA application 5 prospective financial years can be covered Rollback years covered by the APA application Option to cover a block of 4 years preceding the APA years Coverage of international transactions a. Existing international transactions b. Option to cover proposed international transactions Associated enterprises • Any AE in any jurisdiction can be covered Type of APA • Unilateral APA (UAPA) • Bilateral APA (BAPA) • Option of conversion from UAPA to BAPA Coverage of APA
  • 25. APA filings up to March - 2019 • Total 1155 applications filed in six APA cycles. • Close to 82% of the applications filed are unilateral. • Shifting trend to bilateral APA. In last two years, one third applications are bilateral. • Of the total bilateral applications, 80% applications are with US, UK ,Japan and Switzerland. • Over the period, 44 unilateral applications have been converted to bilateral • Only two bilateral has been converted to unilateral. • New jurisdictions like Finland, Germany, France are new jurisdictions which have opened up for bilateral APA after India’s relaxation in position for article 9(2). 117 206 192 113 78 115 123 29 26 14 19 23 53 47 146 232 206 132 101 168 170 0 50 100 150 200 250 2012-13 2013-14 2014-15 2015-16 2016-17 2017-18 2018-19 No. of APAs filed Financial Years Total APA filings Unilateral Bilateral Total 101 57 28 14 8 7 7 6 6 5 4 4 3 1 1 1 0 50 100 150 No. of BAPA applications filed Countries No. of BAPA applications filed-country wise No. of BAPA applications filed Total Applications Filed Bilateral applications filed country-wise* India APA Scheme
  • 26. APA conclusion Total 300 - 267 Unilateral and 33 Bilateral APA concluded upto Nov, 2019 Source: Annual Report on the APA programme in India FY 2018-19 and press releases issues by the CBDT • Significant momentum gained in 3rd year with 53 APAs signed in FY 2015 –16 and 80 in in the 4th year i.e in FY 2016-17. However, the number of conclusions dipped afterwards. • The reason for fall in number of conclusions is rise in number of complex APAs and shortage of manpower in the APA teams. 5 3 53 80 58 41 27 0 1 2 8 9 11 2 5 4 55 88 67 52 29 0 10 20 30 40 50 60 70 80 90 100 2013-14 2014-15 2015-16 2016-17 2017-18 2018-19 2019-20 No. of APAs concluded Financial Years APA conclusions in India Unilateral Bilateral Total Total active inventory of cases pending with Indian government is 750 cases. India APA Scheme (continued)
  • 27. Sectoral analysis upto March - 2019 Economic activity Unilateral Bilateral Total Service 162 10 172 Manufacturing 40 7 47 Trading 9 14 23 Diversified 29 0 29 Total 240 31 271 162 40 9 29 10 7 14 0 172 47 23 29 0 50 100 150 200 Service Manufacturing Trading Diversified Approx. no. of APAs concluded Economic activity Sectoral analysis of the concluded APAs Unilateral Bilateral Total Service sector is the largest contributor to India’s gross domestic product and is also at the forefront of India’s international trade. Maximum number of APAs concluded for international transactions in service sector. Data pertains to total 271 concluded APAs Concluded APAs
  • 28. Industry-wise 65 4 0 37 21 16 8 10 10 6 8 3 3 7 8 3 6 4 2 2 1 2 0 2 2 2 1 3 2 0 2 2 0 0 0 0 0 5 0 0 0 2 0 0 1 0 0 1 0 0 5 0 0 0 0 0 10 20 30 40 50 60 70 No. of APAs concluded Nature of industry Industry-wise APA conclusions Unilateral Bilateral Close to 40% of the total unilateral APAs are concluded for information technology and health and hygiene industries. There are 14 different types of industries that have availed the Indian APA programme. Source: Annual Report on the APA programme in India FY 2018-19 Concluded APAs
  • 29. During FY 2018-19, maximum number of APAs concluded for payment of royalty and intra group services unlike earlier years when IT and ITeS topped the list. Data pertains to 271 concluded APAs concluded upto March - 2019 Nature of covered transactions 0 20 40 60 80 100 120 No. of times these transactions have been covered in an APA Nature of covered transactions APA conclusions-transaction wise Concluded APAs
  • 30. Transaction-wise 75.0% 13.2% 8.5% 1.0% 0.3% 0.3% 0.3% 1.3% 0.1% Frequency of the methodology being used TNMM Other Method CUP Method Cost Plus Method Internal TNMM Residual PSM Resale Price Method Profit Split Method Internal Resale Price Method Source: Aggregate data based on APA Annual report for FY 2016-17, FY 2017-18 and FY 2018-19 Transfer pricing methods used
  • 31. Comparative timelines: Unilateral v Bilateral Source: Annual Report on the APA programme in India FY 2018-19 • Average time taken by India to conclude unilateral APA is 32.5 months. A comparative with USA shows an average of 40.4 months. • Average time taken by India to conclude bilateral APA is 44.32 months. A comparative with the USA is 46.9 months. 87 unilateral applications and 31 bilateral applications are still pending which have completed 5 years APA tenure. 9 46 97 65 13 10 1 1 3 16 6 4 0 2 4 6 8 10 12 14 16 18 0 20 40 60 80 100 120 Within 12 months 13-24 months 25-36 months 37-48 months 49-60 months 61-72 months No. Of Apas Concluded No. of months taken for APA processing Time taken for APA conclusions Unilateral APAs concluded Bilateral APAs concluded Time taken for APA conclusions till date
  • 33. Our experience Aim of the APA team is to reach a “fair” solution within a reasonable timeframe. • APA is a confidence building process – objective of the APA team is to settle down/conclude the APAs at a reasonably/mutually agreeable appropriate method (price/mark-up) • Positive mindset/approach of the APA team during meetings/discussions/negotiations • Past years transfer pricing adjustments normally not a criteria to begin the discussion process – APA team has sometimes even expressed concerns on the approach adopted by the tax officer (transfer pricing officer) during routine audit stage • Site visit provides better understanding to the APA team of the functions, assets & risk of the taxpayer which assists them in taking a rationale and informed view in the case instead of using approach on conjectures and surmises. • APA team is keen to resolve the dispute as opposed to finding faults in the approach adopted by the taxpayers • The APA team has been expanded by the Government to expedite the conclusion of the cases. • India has commenced negotiations with many countries including US, UK, Japan, China, Sweden, Netherlands, Australia etc. • Joint site visits has been a new trend in bilateral APA which provide clarity on FAR to both the competent authorities for fair negotiations. Six rounds of APA’s completed (conclusion cycles)
  • 34. • Core team is Big4 alumni and was involved in numbers of APA filings, negotiations and conclusions • SBC team was involved in the APAs concluded in Electronic Industry Extensive experience in the Indian APA program • Developed key relationships with the APA authorities • SBC’s network comprises of former tax officers, ex-regulators, senior counsels who share their expert opinions & views for taking transfer pricing positions Significant interaction with Indian revenue authorities • Leverage from strong APA experience of SBC network firms in developed countries like the China, Japan, USA, Canada, and the UK. • Extensive global network of PrimeGlobal—assistance in multilateral/bilateral APAs Strong local and international presence • Strong leadership team having cumulative experience of more than 12 years in negotiating tax treaties and tax representation • Professionals drawn from Indian revenue department, lawyers, and economists, among others Significant team experience Our credentials and experience in APA process
  • 35. Contact us HYDERABAD DELHI C- 699A, 1st Floor, Sector-7, Palam Extn., Dwarka, New Delhi, Delhi 110075 CHENNAI Old no 19, New no 13B, New Bangaru colony first Street, KK Nagar West, Chennai 600078 BANGALORE 90/1, 3rd Floor, Pasha South Square, Rathavilas Road, Basavangudi, Bangalore - 560004 MUMBAI Flat no.3, Plot no.226/227, Sion East, Mumbai - 400022 Vizag: Level 3, Kupilli Arcade, Akkayyapalem, Visakhapatnam 530016, Andhra Pradesh Vijayawada: # 56-11-3, Sri Devi Complex, Y.V.R Street, MG Road, Patamata, Vijayawada, Andhra Pradesh Tirupati: H. No: 6-154/1, Syamala Nilayam, Near Water Tank, Akkarampalli, Tirupathi, Andhra Pradesh Kurnool: #21, Top Floor, Skandanshi Vyapaar, New Bus Stand Road, Kurnool 518 003, Andhra Pradesh UAE Address: 2103, Bayswater Tower, Business Bay, Dubai, UAE USA Address: SBC LLC, 8 The Green, Suite A in the City of Dover, Delaware - 19901 Suite 5, Level 3, Reliance Cyber Ville,, Madhapur, Hitech City, Hyderabad – 500081
  • 36. Thank You w w w .steadfastconsulta n ts. in SBC refers to one or more of Steadfast Business Consulting LLP (LLPIN: AAL-1503), a Hyderabad based Limited Liability Partnership, and its network of member firms, branches and affiliates. SBC provides tax, consulting, audit and financial advisory services to clients within and beyond borders spanning multiple industries. With local connect and expertise put together with global outlook and capabilities, SBC believes in providing holistic solutions to clients tailored to meet business objectives and address most complex challenges and at the same time be robust, scalable and sustainable from a tax, legal and regulatory standpoint.