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Published on: Jun 24, 2026

Form 3ceb - Income Tax

Form 3ceb is report from an accountant to be furnished under section 92E relating to international transaction(s) and specified domestic transaction(s).

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Frequently Asked Questions

Common questions about Form 3CEB.

Form 3CEB is a report required to be furnished by an accountant under section 92E of the Income Tax Act, 1961. It pertains to international transactions and specified domestic transactions undertaken by the taxpayer during the relevant financial year.
Every person who has entered into an international transaction or specified domestic transaction during the financial year must file Form 3CEB if the aggregate value of such transactions exceeds the prescribed threshold limits.
Form 3CEB must be filed electronically on or before the due date for furnishing the return of income under section 139(1) of the Income Tax Act, 1961.
Failure to furnish Form 3CEB on or before the due date may attract penalty proceedings under section 271BA of the Income Tax Act, 1961. The penalty can range from Rs. 1,00,000 to Rs. 5,00,000.
Form 3CEB requires the reporting of various details related to international transactions and specified domestic transactions, such as the nature and value of transactions, associated enterprises involved, transfer pricing method applied, and the arm's length price determination.
Form 3CEB must be furnished by an accountant who holds a valid certificate of practice. The report must be signed and certified by the accountant after verifying the information provided by the taxpayer.
The primary purpose of Form 3CEB is to ensure compliance with transfer pricing regulations and to enable the tax authorities to scrutinize international transactions and specified domestic transactions for any potential tax avoidance or base erosion practices.
Form 3CEB covers various types of transactions, including the purchase, sale, transfer, lease or use of tangible and intangible assets, provision of services, lending or borrowing of money, and any other transaction having a bearing on the profits, income, losses or assets of the taxpayer.
The arm's length price for transactions reported in Form 3CEB is determined using one of the prescribed methods under the Income Tax Act, such as the Comparable Uncontrolled Price Method, Resale Price Method, Cost Plus Method, Profit Split Method, or the Transactional Net Margin Method.
Taxpayers are required to maintain adequate documentation to support the information reported in Form 3CEB, including details of the transactions, transfer pricing analysis, and the basis for determining the arm's length price. This documentation must be made available to the tax authorities upon request.