Independent manufacturing undertaking eligibility preserves Section 80IA/80IB deductions, while machinery kept ready for use qualifies for depreciatio...
Assessing Officer Satisfaction Requirement Bars Penalty for Cash Receipt in Immovable-Property Sale Cases Where Initiation Lacks Recorded Satisfaction...
Self-assessed import entries remain appealable, while bona fide classification disputes without misdeclaration cannot justify confiscation or penaltie...
Actual-user customs exemption conditions permit turnkey project transfers when imported windmill components are exclusively used for installation and ...
Customs offence disqualification excludes civil contraventions, preventing refusal of a private bonded warehouse licence based solely on monetary pena...
Transfer-pricing comparability for software development services...
Transfer-pricing comparability permits fresh objections and filters where software service comparables are functionally unsuitable for arm's-length pricing.
Contents
Summary
Note
Bookmark
Share
✓ Copied successfully !
Print
Print Options
For full text, please login
Login to TaxTMI
Verification Pending
The Email Id has not been verified. Click on the link we have sent on
Transfer-pricing comparability for software development services requires selection of companies that meet applicable functional filters and have sufficiently comparable operations. Prior acceptance of a comparable before the Transfer Pricing Officer does not prevent an assessee from contesting it before the DRP. Diversified software-service and product companies lacking segmental information, or earning product-related income through outsourced product development, may be excluded as functionally dissimilar. Brand value and scale may materially affect comparability, supporting exclusion of a large branded company; an onsite filter may also be applied where appropriate. For accurate arm's-length price determination, the DRP may entertain objections, apply a new lawful filter, and direct inclusion or exclusion of comparables.
Transfer-pricing comparability for software development services requires selection of companies that meet applicable functional filters and have sufficiently comparable operations. Prior acceptance of a comparable before the Transfer Pricing Officer does not prevent an assessee from contesting it before the DRP. Diversified software-service and product companies lacking segmental information, or earning product-related income through outsourced product development, may be excluded as functionally dissimilar. Brand value and scale may materially affect comparability, supporting exclusion of a large branded company; an onsite filter may also be applied where appropriate. For accurate arm's-length price determination, the DRP may entertain objections, apply a new lawful filter, and direct inclusion or exclusion of comparables.
Note: It is a system-generated summary and is for quick reference only.