Alternative statutory remedy and unexplained delay barred writ review of customs confiscation adjudication, leaving merits for appellate consideration...
Authorised courier due diligence protects against penalties where declared exports conceal prohibited goods despite proper documentation and customs p...
Customs-controlled container movement now extends to DP World facilities, subject to segregation, inspections, reconciliation, and EXIM cargo priority...
ITAT allowed taxpayer's appeal, rejecting transfer pricing adjustment of INR 30,264,835. The tribunal found merit in the argument that internal comparables should not be dismissed solely based on transaction volume. Referencing a prior Delhi HC decision, the tribunal held that comparable entities cannot be automatically rejected due to size disparity. The lower authorities erred in disqualifying the assessee's internal non-arm's length transaction profitability comparison. Consequently, the arm's length price (ALP) adjustment was deleted, affirming the taxpayer's transfer pricing methodology as justified.
ITAT allowed taxpayer's appeal, rejecting transfer pricing adjustment of INR 30,264,835. The tribunal found merit in the argument that internal comparables should not be dismissed solely based on transaction volume. Referencing a prior Delhi HC decision, the tribunal held that comparable entities cannot be automatically rejected due to size disparity. The lower authorities erred in disqualifying the assessee's internal non-arm's length transaction profitability comparison. Consequently, the arm's length price (ALP) adjustment was deleted, affirming the taxpayer's transfer pricing methodology as justified.
Note: It is a system-generated summary and is for quick reference only.