Alternate statutory remedy governs GST assessment challenge, with statutory appeal preserved and limitation objection barred for the permitted filing ...
Amount of transfer pricing adjustment cannot be calculated by picking up `profit margin’ of the assessee or comparables and then comparing it with the `price’ charged by the comparables or the assessee - AT
Amount of transfer pricing adjustment cannot be calculated by picking up `profit margin’ of the assessee or comparables and then comparing it with the `price’ charged by the comparables or the assessee - AT
Note: It is a system-generated summary and is for quick reference only.