SERVICE 06 — INDIA · US CROSS-BORDER

Your US CPA doesn't file in India. Your Indian CA doesn't file with the IRS. You've been the bridge.

One team qualified in both systems handles tax strategies, filings ,transfer pricing, FBAR, FATCA, treaty benefits, and repatriation. You stop translating between two firms.

The Problem

Operating across the US and India means two tax codes, two compliance calendars, and a transfer pricing regime sitting in the gap between them. Most advisory firms handle one side well. The other side gets stitched together by you, on evenings and weekends, translating between two professionals who have never spoken to each other.

The costs of that gap are specific: transfer pricing documentation that doesn't hold up, FBAR filings missed because nobody owned them, treaty benefits unclaimed because neither advisor saw the full picture.

01

What We Do

XQUBE's founders hold qualifications on both sides: Chartered Accountants in India, CPA in the US. The same team handles your transfer pricing documentation, FBAR and FATCA compliance, DTAA treaty benefit applications, and repatriation structuring. Nothing gets translated between firms, because there's only one firm.

02

What Changes for You

You stop being the translator. Dual-jurisdiction compliance runs from one calendar, one team, one point of contact. The gap between your US obligations and your India obligations closes, and stays closed.

THE SEAM — UNITED STATES · INDIA

The gap between your US obligations and your India obligations closes, and stays closed.

SCOPE OF WORK

  1. 01India-US dual-jurisdiction tax advisory
  2. 02Transfer pricing documentation and compliance
  3. 03FBAR and FATCA filing
  4. 04DTAA treaty benefit optimisation
  5. 05Repatriation structuring
  6. 06Cross-border entity structuring
  7. 07Regulatory coordination across both jurisdictions

QUESTIONS WE ASK BEFORE UNTANGLING TWO JURISDICTIONS

  1. UNITED STATES01

    What actually moves between the entities: services, IP , staff, or cash?

  2. 02INDIA

    How was the intercompany price set, and can it be defended in either country?

  3. UNITED STATES03

    Which filings has nobody clearly owned: FBAR, FATCA, transfer pricing documentation?

  4. 04INDIA

    What is the repatriation plan, and has anyone modelled the tax on it?