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Home / Practices / GCC India Advisory
09
FOR GLOBAL CAPABILITY CENTRES IN INDIA

GCC India Advisory.

Global Capability Centre setup and ongoing operations: entity structuring, transfer pricing, FEMA compliance, payroll and ESOPs, Virtual CFO support, multi-state GST, and statutory and tax audit coordination — for the foreign companies establishing or operating GCCs in India.

01 · What we do

GCC India — capability-centre setup & run

We help global groups stand up and run an Indian capability centre — entity, transfer pricing and compliance — with the captive's economics defensible for years, not just at launch.

What we handle

References to income-tax provisions follow the Income-tax Act, 2025 (effective 1 April 2026, replacing the Income-tax Act, 1961); we cite the erstwhile section where it aids clarity.

02 · Who this is for

Client profiles

Foreign technology companies establishing engineering centres
Companies setting up India-based engineering, R&D, product, or AI/ML operations, typically with 50 to 5,000+ headcount horizon.
Foreign service firms establishing back-office or KPO operations
Financial services, professional services, consulting, and other service firms establishing India delivery centres for global service delivery.
Existing GCCs requiring ongoing operational compliance
Established GCCs (typically 200+ headcount) requiring integrated transfer pricing, statutory compliance, payroll, and operational support without internal CFO or general counsel function.
GCCs in operational transition or expansion
GCCs undergoing major expansion, relocation across states, structural reorganisation, or scope expansion into new service categories.
03 · How we engage

Engagement structure

01
GCC setup
Entity incorporation, multi-state GST registrations, STPI or SEZ optionality analysis, transfer pricing framework setup, and operational readiness within 8 to 12 weeks.
02
Transfer pricing
Annual benchmarking study, Form 3CEB, local file, master file, contemporaneous documentation, and the Advance Pricing Agreement framework where applicable.
03
Ongoing operational compliance
MCA filings, statutory audit coordination, tax audit, GST returns and refunds, FEMA reporting, payroll, and the consolidated annual compliance calendar.
04
ESOP and senior employee tax
ESOP grant operationalisation, perquisite tax compliance, senior employee tax advisory, and the cross-border equity grant framework.
04 · Representative scenarios

Illustrative engagements

Representative scenario
US technology company establishing India AI/ML engineering centre
A US-headquartered AI/ML company is establishing an India engineering centre with 60-person initial headcount in Bengaluru, scaling to 200 over 24 months, with focus on model development and product engineering. Considerations: WOS structure with calibrated capital, SEZ versus non-SEZ analysis, transfer pricing framework on cost-plus services (8% to 12% markup with benchmarking), IP assignment to US parent under inter-company services agreement (with attention to AI/ML model and weights ownership), ESOP grant framework for India employees on US parent's plan, and integrated monthly reporting. Engagement: setup, ongoing operational compliance, transfer pricing, and Virtual CFO function.
Representative scenario
Singapore financial services firm establishing back-office GCC
A Singapore-headquartered financial services firm is establishing an India back-office GCC with 250-person headcount across operations, technology, and risk functions in Hyderabad and Bengaluru. Considerations: entity structure with multi-state GST registrations, transfer pricing on back-office services (typically 12% to 18% markup for higher-complexity functions), sectoral regulatory considerations, payroll and ESOP framework, and integrated Singapore-India tax position. Engagement: setup, ongoing operational compliance, multi-state GST coordination, and Singapore-India tax advisory.
Representative scenario
Established GCC operational transformation
An established US Fortune 500 company's Indian GCC with 1,200 headcount, currently providing back-office services, is expanding scope to include product engineering and AI/ML functions. Considerations: transfer pricing framework refresh (different functions, different benchmarks, potentially different markups), IP ownership framework for new functions (particularly AI/ML), ESOP plan operationalisation for the expanded employee base, operational restructuring across the legal entity, and integrated communication to the parent's global tax and finance functions. Engagement: transfer pricing refresh, IP framework setup, ESOP operationalisation, and ongoing operational compliance.
05 · Frequently asked

Questions clients ask

What is the typical timeline for GCC setup?
For a GCC of 50 to 200 initial headcount with operations in 1 or 2 Indian states, the typical setup timeline is 10 to 16 weeks from instructions to operational readiness, covering incorporation (4 to 6 weeks), GST and tax registrations (3 to 4 weeks), bank account opening and operational setup (3 to 4 weeks), and parallel STPI or SEZ registration (4 to 8 weeks where applicable). Larger GCCs with multi-state operations and more complex structural elements can extend to 16 to 24 weeks.
What is the defensible transfer pricing markup for GCC services?
For typical software development and engineering services from an Indian GCC to a foreign parent, the defensible cost-plus markup is 8% to 12%, supported by benchmarking studies of comparable Indian IT services providers. For higher-complexity services (R&D, risk and compliance, finance and accounting at senior levels), the defensible markup typically extends to 12% to 18%. For routine back-office services, the defensible markup is typically 6% to 10%. The specific markup is supported by the annual benchmarking study calibrated to the actual function performed.
Does STPI registration still provide tax benefits?
The STPI registration's principal tax benefit, Section 10A (export profits deduction), has been substantially phased down following the 2010 sunset. Current STPI registration provides operational benefits including customs and excise duty exemptions on import of capital goods, foreign exchange transaction support, and the export reporting framework, but the direct tax holiday for new units is no longer available. SEZ units established before the 2020 sunset retain residual benefits under Section 10AA.
How are ESOPs from a foreign parent treated for Indian GCC employees?
ESOPs granted by a foreign parent to Indian GCC employees are taxable in India under Section 17(2)(vi) at exercise, on the differential between fair market value at exercise and exercise price. The perquisite is treated as salary income, with TDS deducted by the Indian employer. At eventual sale, the gain is treated as capital gain in India with cost basis being the FMV at exercise. Foreign Tax Credit may be available where the same income is taxed by the foreign jurisdiction. The Indian employee must also comply with FEMA on the offshore holding.
Can a GCC operate from multiple Indian cities?
Yes. Most GCCs operate from multiple Indian cities (typically Bengaluru, Hyderabad, Pune, NCR, Chennai, and increasingly Tier-2 cities). Each city of operation triggers its own state-specific compliance including GST registration, Shop and Establishment registration, Professional Tax, and state-specific labour law registrations. Our practice covers the consolidated multi-state compliance framework with a single point of accountability.
What is the role of APA for GCCs?
An Advance Pricing Agreement under Section 92CC is a structured agreement between the taxpayer and the Indian Tax Department on the transfer pricing methodology applicable to specified international transactions over a 5-year forward window (with optional 4-year rollback). For GCCs with stable, long-term cost-plus service arrangements, an APA provides significant transfer pricing certainty. The APA process is multi-year (24 to 48 months) but the resulting certainty is valuable for large GCCs.
“A dedicated and sincere Chartered Accountant — consistently committed, keeping to strict timelines and delivering every compliance need with highly personalised solutions.”
Praveen KumarDirector, Spaceman Craft Pvt Ltd
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Tell us about your facts. We will respond with a structured approach.

Each engagement begins with a structured workshop covering your specific facts, timeline, and constraints. We respond with an option analysis and indicative fee within five working days of the initial discussion.