Transfer-pricing treatment of ITeS margins excludes pass-through tax recoveries and separate delayed-receivables interest after working-capital adjust...
Capacity-utilisation adjustments under TNMM can neutralise substantiated COVID-related idle costs where underutilisation materially affects profitabil...
TNMM functional comparability requires excluding rice manufacturers from a pure Basmati rice trader's benchmark and recognising operating export recei...
Working-capital adjustment subsumes delayed-receivable effects in TNMM benchmarking of captive software-development services, avoiding separate notion...
Transfer-pricing comparability requires exclusion of financially illogical super-profit comparables and correction of unsupported annual-report and ma...
Charitable character assessment preserves Section 80G approval despite inclusive spiritual teachings and incidental religious expenditure within the s...
Penalty proceedings for cash-loan acceptance require assessment proceedings and recorded Assessing Officer satisfaction; absent these, the proceedings...
Page of 4828
Press 'Enter' after typing page number.
161 to 180 of 96556 Results
❮
❯
❯❯
0 / 200
Expand Note
Add to Folder
No Folders have been created
+
Are you sure you want to delete "My most important" ?
Transfer pricing adjustment made to alleged international transaction of AMP expenditure incurred by assessee disallowed due to lack of evidence that assessee agreed to incur such expenditure on behalf of parent company or that advertising and marketing budget was determined by parent entity. TP adjustments to arm's length price of international transactions in Trading segment under TNMM by altering set of comparable companies upheld as deselection of functionally dissimilar companies justified. Similarly, TP adjustments in Networking segment upheld. TPO directed to grant working capital adjustment and correctly compute profit margins of comparables by excluding non-operational items while determining arm's length price in Trading, Networking and Manufacturing segments. TPO also directed to determine proportionate adjustment appropriately by considering transactions with AEs and excluding unrelated party transactions. Adjustment to royalty paid to parent for licensed know-how deleted as TPO's selection of comparable transactions under CUP lacked meaningful comparability and was arbitrary. Adoption of TNMM held appropriate as relevant CUP data unavailable. Disallowance of salary paid to expatriate employees on secondment from Korea deleted as they worked under sole control of assessee and no evidence of furthering parent company's objectives.
Transfer pricing adjustment made to alleged international transaction of AMP expenditure incurred by assessee disallowed due to lack of evidence that assessee agreed to incur such expenditure on behalf of parent company or that advertising and marketing budget was determined by parent entity. TP adjustments to arm's length price of international transactions in Trading segment under TNMM by altering set of comparable companies upheld as deselection of functionally dissimilar companies justified. Similarly, TP adjustments in Networking segment upheld. TPO directed to grant working capital adjustment and correctly compute profit margins of comparables by excluding non-operational items while determining arm's length price in Trading, Networking and Manufacturing segments. TPO also directed to determine proportionate adjustment appropriately by considering transactions with AEs and excluding unrelated party transactions. Adjustment to royalty paid to parent for licensed know-how deleted as TPO's selection of comparable transactions under CUP lacked meaningful comparability and was arbitrary. Adoption of TNMM held appropriate as relevant CUP data unavailable. Disallowance of salary paid to expatriate employees on secondment from Korea deleted as they worked under sole control of assessee and no evidence of furthering parent company's objectives.
Note: It is a system-generated summary and is for quick reference only.