L
o
a
d
i
n
g

USA › Transfer Pricing

USA · Service

US Transfer Pricing & Intercompany Pricing

Arm’s-length pricing and documentation for India–US groups — intercompany charges set and defended under both IRS and Indian transfer-pricing rules.

Overview

Intercompany pricing both authorities accept.

When a US parent and an Indian subsidiary, or the reverse, transact, both tax authorities scrutinise the price. We set arm’s-length pricing for services, IP and cost-sharing, document it to US and Indian standards, and reconcile the two so the same intercompany charge is not attacked from both sides.

India–US groups with intercompany transactions
US parents with an Indian development or services arm
Indian companies billing a US subsidiary or parent
Groups facing transfer-pricing review in either country
What’s Included

Pricing documented for both countries.

Policy Design

Arm’s-length policies for services, IP and cost-sharing.

Benchmarking

Comparables that satisfy US and Indian standards.

US Documentation

Documentation aligned to IRS requirements.

India Documentation

Master file, local file and accountant’s report where due.

Intercompany Agreements

Agreements that match the pricing and the conduct.

Dispute Support

Defence if either authority challenges the price.

How We Work

From flows to defensible pricing.

01

Map

We identify intercompany flows both ways.

02

Price

We set and benchmark arm’s-length charges.

03

Document

We prepare US and Indian documentation.

04

Defend

We support review in either country.

Why LexVerge

One price, defensible on both sides.

Arm’s LengthIRSIndian TPCost-SharingServicesIP / RoyaltiesBenchmarkingMaster FileIntercompany AgreementsDispute Defence

We set intercompany pricing that satisfies the IRS and the Indian authorities at once — documented so neither side can pick it apart.

Representative Outcomes

Anonymised mandates from this practice.

Client identities withheld for confidentiality; outcomes described in general terms.

Documentation

India–US services pricing documented

Cost-plus charges for an Indian development arm benchmarked and documented both sides.

Defensible both-country file
Reset

Intercompany agreements aligned to conduct

Pricing and agreements corrected so the paperwork matched the actual flows.

Pricing and contracts aligned
FAQ

US transfer pricing, answered.

Why do both countries care about my intercompany price?
Each authority wants its share of the profit, so each tests whether the intercompany charge is arm’s length. Documentation that satisfies only one side leaves you exposed on the other. We prepare both.
What transactions need documentation?
Intercompany services, IP licensing, cost-sharing and financing are the common ones. We identify which of your flows need documentation and prepare it to both standards.
Can you defend the pricing if it is challenged?
Yes. We support transfer-pricing review and adjustments in either country, using the documentation we build.
USA · LexVerge

Price intercompany flows to defend.

Book a consultation with our remote US Desk to set and document India–US intercompany pricing for both authorities.

Speak with a Partner