Revisability of return invalidation communications under tax procedure affirmed, impugned non revisional finding quashed and matter remitted for fresh...
Transferable duty credit scrips validity and bona fide transferee entitlement to exemption upheld where scrips were subsisting at import, appeals allo...
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Transfer pricing dispute over use of TNMM: tribunal excluded specified comparables (Eclerx Services, Infosys BPO, Accentia) due to functional dissimilarity, directing AO/TPO to revise comparable set. Deduction claims under Section 10A: UB Plaza unit allowed as change of ownership by slump sale does not by itself defeat eligibility (CBDT Circular No.1/2013 noted); Titanium STPI unit remitted to AO for fresh factual and documentary verification and allocation of eligible profits if treated as expansion; STPI unit acquired from Reuters to be allowed. Claims on goodwill depreciation remitted for de novo AO verification; depreciation on software not hit by withholding provisions as it is an allowance, not revenue expenditure.
Transfer pricing dispute over use of TNMM: tribunal excluded specified comparables (Eclerx Services, Infosys BPO, Accentia) due to functional dissimilarity, directing AO/TPO to revise comparable set. Deduction claims under Section 10A: UB Plaza unit allowed as change of ownership by slump sale does not by itself defeat eligibility (CBDT Circular No.1/2013 noted); Titanium STPI unit remitted to AO for fresh factual and documentary verification and allocation of eligible profits if treated as expansion; STPI unit acquired from Reuters to be allowed. Claims on goodwill depreciation remitted for de novo AO verification; depreciation on software not hit by withholding provisions as it is an allowance, not revenue expenditure.
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