Annual Compliance Report on Advance Pricing Agreement
Form 3CEF belongs to the regime of the Income-tax Act, 1961. The same ground is now covered by Form 52 of the Income-tax Rules, 2026. It is a report — somebody with a professional obligation putting a set of facts on record for the department to act on. The assessee signs and files this himself.
Neither side of the department’s description names a section or a rule, so there is nothing here we can point at without guessing. The enabling provision is on the form itself.
| Under the 2026 Rules | What the department calls it |
|---|---|
| Form 52 | Annual Compliance Report on Advance Pricing Agreement (the wording is unchanged) |
You meet it when money, a related party or a permanent establishment sits on the other side of a border. It usually has to be in place before the transaction, not after it, and the department reads it against the treaty as well as the Act.
Form 3CEAA, Form 3CEAB, Form 3CEAC, Form 3CEAD, Form 3CEAE, Form 3CEB, Form 3CEC, Form 3CED, Form 3CEDA, Form 3CEEA, Form 3CEFA, Form 3CEFB