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    Transfer-pricing adjustments must be confined to international associated-enterprise transactions, while functionally dissimilar comparables remain ex...
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Intra-group management and IT support charges could not be...

Entity-level transfer pricing benchmarking required where interlinked trading and manufacturing transactions cannot be reliably segmented.

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Income Tax September 18, 2026 Case Laws AT
Intra-group management and IT support charges could not be wholly rejected where associated enterprises provided services, but debit notes, allocation bases and allocation keys were necessary to verify the charges. The ad hoc restriction was improper, and the issue was remitted to the Assessing Officer/Transfer Pricing Officer for fresh examination. Interlinked trading imports and manufacturing sales required entity-level transfer pricing benchmarking because overseas associated enterprises lacked reliable comparable and complete financial data, while subsequent manufacturing operations made separate segmental RPM or TNMM analysis inappropriate. Those issues were remitted for fresh determination. The Revenue's challenge to allowance of agronomy expenditure was dismissed as covered in favour of the assessee.

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Acts Income Tax