Revenue-neutral domestic transfer pricing and mirror transactions justified deletion of related-party adjustments for operation, maintenance and port ...
Addition made on share premium u/s.68 - share premium received from its holding companies namely situated at Hongkong, who are non resident entities - the said share premium is on account capital transaction and is not an income within charging Sections of the 1961 Act. - AT
Addition made on share premium u/s.68 - share premium received from its holding companies namely situated at Hongkong, who are non resident entities - the said share premium is on account capital transaction and is not an income within charging Sections of the 1961 Act. - AT
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