Just a moment...
Press 'Enter' to add multiple search terms. Rules for Better Search
No Folders have been created
Are you sure you want to delete "My most important" ?
NOTE:
Don't have an account? Register Here
The ITAT set aside the impugned transfer-pricing adjustments and directed deletion of: (a) the TP adjustment premised on application of the Berry ratio and improperly selected comparables, holding the assessee's transactions with AEs to be at arm's length and that OP/OC (or GP margin/COP) would be the appropriate PLI if TNMM were applied; (b) notional interest on outstanding receivables, finding uniform commercial credit terms and accepted industry practice negated recharacterisation as interest-free loans; (c) addition under s.36(1)(va) for delayed PF payment, on facts showing timely compliance; (d) tax under s.115QA in relation to a share buy-back, on reliance upon prevailing public disclosures; and (e) unexplained expenditure treated on a 'dumb document' basis. All challenged grounds allowed.