Loading...

⚠ ✕
❮ Top
☎ Help
☰
×

By creating an account you can:

Logo TaxTMI
Call Us / Help / Feedback✕

Contact Us At :

✉ E-mail: [email protected]

✆ Call / WhatsApp at: +91 99117 96707

For more information, Check Contact Us

FAQs :

To know Frequently Asked Questions, Check FAQs

Most Asked Video Tutorials :

For more tutorials, Check Video Tutorials

Submit Feedback/Suggestion :

Email :
Please provide your email address so we can follow up on your feedback.
Category :
Description :
Min 15 characters 0/2000
Make Most of Text Search ✕
  1. Checkout this video tutorial: How to search effectively on TaxTMI.
  2. Put words in double quotes for exact word search, eg: "income tax"
  3. Avoid noise words such as : 'and, of, the, a'
  4. Sort by Relevance to get the most relevant document.
  5. Press Enter to add multiple terms/multiple phrases, and then click on Search to Search.
  6. Text Search
  7. The system will try to fetch results that contains ALL your words.
  8. Once you add keywords, you'll see a new 'Search In' filter that makes your results even more precise.
  9. Text Search
╳
Add to...
You have not created any category. Kindly create one to bookmark this item!
✕
Create New Category
Hide
Title :
Description :
❮❮ Hide
❮ Default View
Expand ❯❯
Close ✕
🔎 Filters / Advanced Search ❯
TEXT

Press 'Enter' to add multiple search terms. Rules for Better Search

Search In
Main Text + AI Text ❯
  • Main Text
  • Main Text + AI Text
  • AI Text
Law:
---- All Laws---- ❯
  • ---- All Laws----
  • Income Tax
  • Direct Taxes
  • Benami Property
  • Central GST Laws
  • SGST - State GST Laws
  • Customs
  • FTP - Foreign Trade Policy
  • SEZ - Special Economic Zone
  • FEMA - Foreign Exchange Management
  • Companies Law
  • SEBI - Securities & Exchange Board of India
  • IBC - Insolvency and Bankruptcy
  • Law of Competition
  • PMLA - Money-Laundering
  • Indian Laws
  • Bill / Finance Bills
  • Wealth Tax
  • Service Tax
  • Central Excise
  • VAT / Sales Tax
Month:
---- All Months ---- ❯
  • ---- All Months ----
  • January
  • February
  • March
  • April
  • May
  • June
  • July
  • August
  • September
  • October
  • November
  • December
Year:
---- All Years ---- ❯
  • ---- All Years ----
  • 2026
  • 2025
  • 2024
  • 2023
  • 2022
  • 2021
  • 2020
  • 2019
  • 2018
  • 2017
  • 2016
  • 2015
  • 2014
  • 2013
  • 2012
  • 2011
Sort By: ?
In Sort By 'Default', exact matches for text search are shown at the top, followed by the remaining results in their regular order.
Relevance Default Date
☰   Show Results ❯
    Penalty for concealment fails when the underlying business-interest disallowance is reversed on merits and no longer survives.
    Refund limitation after provisional customs assessment begins when the finalisation order is communicated, not merely dated or despatched.
    Foundational assessment satisfaction is essential before initiating penalty for cash receipt of immovable-property sale consideration under section 27...
    Inadvertent concessional-regime form filing cannot override a co-operative society's old-regime return and statutory deduction claim.
    Penny-stock gains face scrutiny where extraordinary prices, operator records and layered funding undermine transaction genuineness.
    Compulsorily convertible debentures remain debt until conversion, preventing transfer-pricing authorities from pricing related interest at nil.
    Transfer pricing of long-term debenture interest rejects unsupported tenure filters and requires avoiding duplicate interest disallowances.
    Maximum marginal rate under Section 167B does not apply to public charitable trusts with indeterminate beneficiary shares.
    Reassessment procedure requires recorded reasons and objection disposal; documentary share-sale evidence defeats unsupported accommodation-entry alleg...
    Interim directions on TDS protected a bank from default status for foreign-leg leave travel concession reimbursements.
    Prospective operation of stamp-value taxation excludes property purchases agreed and substantially paid for before the charging provision commenced.
    Assessment of a Non-Existent Amalgamated Company Creates an Uncurable Jurisdictional Defect Despite Prior Merger Disclosure
    Diversion of income by overriding title excluded collaborator's flat-sale share, while documented land cost could not be disallowed.
    Tax collection at source on purchases removes duplicate withholding obligation, while trade-creditor evidence requires verification before unexplained...
    Transfer-pricing comparability requires material turnover effects; adjustments must cover only associated-enterprise transactions and exclude abnormal...
    Business use of land supports interest deduction where no direct nexus links borrowings to acquisition or construction.
    Revised returns correcting disclosed F&O loss classification require reassessment of consequential business-loss set-off and carry-forward claims unde...
    TDS credit transfer for clubbed income requires prescribed declaration and deductor reporting before credit moves to another taxpayer.
    Continuing default penalty ends when voluntary charitable-trust return filing becomes legally impossible, requiring recomputation of the penalty perio...
    Indian Currency Confiscation Requires Departmental Proof of a Direct Nexus to Identified Smuggled Goods and Knowing Dealings
❮
❯
❯❯
Maximize Maximize Maximize
0 / 200
Expand Note
Add to Folder

No Folders have been created

+

Are you sure you want to delete "My most important" ?

NOTE:

Highlights
Showing Results for :
Reset Filters
Results Found:
Show All Summaries Hide All Summaries

Highlights

Back

All Highlights

Showing Results for :
Reset Filters
No Records Found

Highlights

Back

All Highlights

Transfer-pricing studies for software development services...

Transfer-pricing comparability filters require fresh arm's-length analysis, while delayed receivables need separate reconsideration with working-capital adjustment.

Contents
Summary
Note

Note

-

Bookmark

Print

Print

Income Tax September 22, 2026 Case Laws AT
Transfer-pricing studies for software development services cannot be rejected merely because comparability filters require modification when the taxpayer's functions, assets, risks, contractual terms, tested-party selection, databases and search keywords remain undisputed. Modified filters should instead be applied to the identified database, with the accept/reject matrix reviewed and functionally unsuitable comparables excluded before determining the arm's-length price. Interest on delayed associated-enterprise receivables is a separate international transaction where it is not aggregated with transactional net margin method margins after a working-capital adjustment; receivables and payables cannot be set off. The software-development arm's-length price and consequential delayed-receivables adjustment were restored for fresh consideration.

Topics

Acts Income Tax