CORAA

Form 3CEB Format — Transfer Pricing Accountant's Report (Section 92E)

The Section 92E accountant's report on international and specified domestic transactions with associated enterprises — transaction-by-transaction disclosure, arm's length method applied, and the required annexure structure.

Free · CORAA original — SA-aligned
Updated 28 Jul 2026
Statutory basis
Section 92E, Rule 10E
Applies to
International + specified domestic transactions with AEs
Filed with
Income-tax e-filing portal, before the Sec 44AB due date
Not this document
The transfer pricing study/documentation itself (Rule 10D) — a separate, more detailed record
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Your firm — letterhead
Appears at the top of the document as the audit firm letterhead.
Used as the letterhead block.
Engagement details
The client and period this document is for.
What’s inside

An excerpt from the template.

FORM No. 3CEB

[See rule 10E] — Report from an accountant to be furnished under section 92E of the Income-tax Act, 1961, relating to international transactions and specified domestic transactions.

We have examined the accounts and records of ___ (PAN: ___) relating to international transactions and specified domestic transactions entered into by the assessee during the previous year ended ___, relevant to Assessment Year ___.

Part A — General particulars

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About this template

What you’re downloading, and when to use it.

This template follows the format published by the Institute of Chartered Accountants of India (ICAI) in the AASB Audit Working Paper Templates (June 2023), the authoritative reference for Indian statutory-audit documentation. Fill in your firm’s letterhead and the engagement details on the form above, click Download Word file, and you’ll get a fully formatted .docx ready to use.

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Common questions

FAQs.

Who is required to obtain a Form 3CEB report?
Every person who has entered into an international transaction, or a specified domestic transaction above the prescribed aggregate value, with an associated enterprise (as defined under Section 92A) during the previous year must obtain this accountant's report and furnish it electronically before the Section 44AB due date, regardless of whether the entity is otherwise subject to tax audit.
Does Form 3CEB itself prove the transaction was at arm's length?
No — the form only certifies that the particulars disclosed (transactions, associated enterprises, method applied) are true and correct based on the records examined. It is not an opinion on whether the price charged was actually at arm's length; that substantive analysis lives in the transfer pricing study and contemporaneous documentation maintained under Rule 10D, which the assessing officer or Transfer Pricing Officer can call for separately.
What happens if Form 3CEB is not filed or is filed late?
Section 271BA prescribes a penalty (a fixed sum, verify the current amount) for failure to furnish the report by the due date. Separately, failure to maintain the underlying Rule 10D documentation, or furnishing incorrect information, attracts its own penalties under Sections 271AA and 271G — these are distinct from, and in addition to, the 271BA penalty for the report itself.
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