| • |
The details
of the ownership of the person with respect to
the company. These include the ownership structure,
the details of the shares, and information on
ownerships held by any other company on it. |
| • |
A detailed profile of the
foreign group to which the assessed company is
associated with for the international transactions.
The details such as name, address, country where
tax returns are filed, and the legal status, etc.,
have to be furnished about the multinational group.
|
| • |
A detailed description of
the business activities of both the assessed person
and the associated group of companies with whom
the former has been involved in international
transaction. |
| • |
The details of the international
transaction, such as the nature of the transaction,
details of the property or services transferred,
the terms contained in the transaction, and the
amount and value of each transaction. |
| • |
The details of the functions
carried out by such a transaction, the details
of the risks involved and the value of the assets
used or to be used by the assessed or the associated
company that is involved in such a transaction.
|
| • |
The details of the records
collected for the entire business or a particular
division of the business during the period of
the company’s business activity in which
the foreign transaction has been involved. These
include reports such as the estimates made on
various market trends, forecasts about the market,
budget analysis or any other such finance-related
reports prepared by the company. |
| • |
The details of the uncontrolled
transactions, if any, that has taken place with
a third party during the period of the international
transaction. The nature and the terms and conditions
of such transaction have to be mentioned as they
play an important role in deciding the value of
the international transaction. |
| • |
The details of the analysis
conducted in order to assess the impact of the
uncontrolled transaction on the international
transaction concerned. |
| • |
The details of the various
procedures considered and the one adopted in deciding
the arm’s length price with respect to an
international transaction. The details should
also include the details on why the particular
method was adopted and how it was implemented
successfully in order to decide the arm’s
length price. |