Governmental authority status supports construction-service exemption, while pre-cutoff contract and stamp-duty compliance requires verification on re...
Automated Free Sale and Commerce Certificates enable paperless processing while retaining risk-based manual verification for selected exporter applica...
Employee stock-shortage penalties do not constitute consideration for services, preventing GST collection under Schedule II in employment relationship...
The Appellate Tribunal examined Transfer Pricing Adjustment disallowing cost of support services. The cost allocation key based on 'headcount' was accepted by the Transfer Pricing Officer (TPO) as at Arm's Length Price (ALP) u/s 92CA(3) of the Act. The TPO's role is to ensure pricing is at ALP. Documents were submitted and findings from survey proceedings were available to the TPO. Consistency was maintained as no adjustments were made in prior years. The allocation key should not be disturbed. Regarding depreciation on intangible assets, the Tribunal directed the AO to grant depreciation as per previous rulings in the assessee's favor.
The Appellate Tribunal examined Transfer Pricing Adjustment disallowing cost of support services. The cost allocation key based on 'headcount' was accepted by the Transfer Pricing Officer (TPO) as at Arm's Length Price (ALP) u/s 92CA(3) of the Act. The TPO's role is to ensure pricing is at ALP. Documents were submitted and findings from survey proceedings were available to the TPO. Consistency was maintained as no adjustments were made in prior years. The allocation key should not be disturbed. Regarding depreciation on intangible assets, the Tribunal directed the AO to grant depreciation as per previous rulings in the assessee's favor.
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