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    Online coaching classified as training services, not OIDAR, making Rajasthan supplies intra-State for tax purposes.
    Draft assessment order must be served first before final assessment, preserving the taxpayer's DRP objection right.
    Merger of intimation into scrutiny assessment bars section 154 rectification based on an earlier adjustment.
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    Reasonable cause defeats tax audit penalty where a society's bona fide compliance lapse was found genuine and non-mala fide.
    TNMM upheld for arm's length pricing; CUP-based transfer pricing adjustment deleted on identical facts.
    Index-based derivatives are not shares under the India-Mauritius DTAA, so gains fall under the residuary residence-based article.
    Transfer pricing adjustments: pass-through costs, working capital relief, DRP binding directions, and foreign tax credit verification.
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    Charitable trust registration cannot be denied solely for limited initial activity where the objects and deed show public charitable purpose.
    APA-based transfer pricing, MAT book profit review, and consequential interest recomputation were sent back for fresh consideration.
    Project completion method: promotional expenses stay revenue, while direct project costs must be capitalised in work-in-progress.
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      Before invoking Chapter X transfer pricing provisions, the...

      Transfer pricing jurisdiction challenged over need to first establish taxable international transaction before TPO reference

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      Income TaxApril 1, 2026Case LawsHC
      Before invoking Chapter X transfer pricing provisions, the assessee contended that the Assessing Officer must first establish that the alleged income arises from an international transaction chargeable to tax in India, including under the DTAA, and that the reference to the TPO without such determination was jurisdictionally defective. The Revenue sought time to reply, and the Court directed filing of an affidavit in reply and listed the matter for ad-interim relief. Pending disposal of the writ petition, the Court granted ad-interim stay of the show cause notice, impugned order, reference to the Transfer Pricing Officer, and the assessment proceedings, without prejudice to the parties' rights and contentions.

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      ActsIncome Tax