Reference to Dispute Resolution Panel (DRP) AY 2026-27

By | May 8, 2026

Reference to Dispute Resolution Panel (DRP)

Introduction
The Dispute Resolution Panel (DRP) provides a fast-track mechanism for resolving disputes arising from draft assessment orders issued to non-residents, foreign companies, or assessee with Transfer Pricing Officer (TPO) adjustments. DRP proceedings are conducted in a faceless manner. It is a panel of three Principal Commissioners or Commissioners of Income-tax, constituted by the Board.

Who Can Approach the DRP?

  • Non-residents (excluding companies) and foreign companies.
  • Assessees facing transfer pricing adjustments (Section 92CA(3)).
  • Not available for assessees subject to search/requisition underSections 132or 132A

Process for Filing Objections

  • The Assessing Officer (AO) issues a draft assessment order to the assessee.
  • Within 30 days, the assessee must:

o Accept the order, or

o File objections with DRP (Form 35A) and the AO.

  • If the assessee accepts the order or does not object, the AO finalizes the assessment within one month.

DRP’s Role and Powers

  • Reviews the draft order, objections, supporting evidence, and reports from AO, TPO, or other authorities.
  • Can confirm, reduce, or enhance variations, but cannot set aside the assessment or order further inquiries.
  • Issue directions within 9 months from the end of the month in which the draft order was forwarded to the assessee.
  • The AO must complete the assessment within one month from the end of the month in which such directions are received.

Binding Nature of DRP Directions

  • The AO must comply with DRP’s directions.
  • If the directions prejudice the assessee, an opportunity for a hearing is provided.

Appeal Against DRP Orders

  • The assessee can appeal before ITAT against the final order.
  • No appeal to CIT(A) is allowed.

Faceless DRP Proceedings

  • DRP directions are issued digitally, using automated case allocation and a dynamic jurisdiction system.

Alternative to DRP: Dispute Resolution Committee (DRC)

  • Assessees with income up to ₹50 lakh and disputed additions up to ₹10 lakh may opt for DRC instead of DRP.
  • An assessee may approach either the DRP or the DRC, but not both
  • If admitted by the DRC, proof of DRP withdrawal or no pending proceedings must be given.
  • No DRP reference is allowed against the AO’s modified order passed as per DRC resolution.