Section 80JJAA employee-cost deduction allowed for deployed staff but barred against transfer-pricing income enhancement, with pricing issues remanded...
Transfer-pricing methodology protects commercially genuine associated-enterprise payments, while pre-2016 secondary adjustments and related notional i...
Negative liens over operating assets can constitute international transactions requiring arm's-length pricing reflecting restricted borrowing and expa...
Cross-examination rights in Customs Broker revocation inquiries require witness examination; procedural denial may be cured through fresh adjudication...
Governmental authority status supports construction-service exemption, while pre-cutoff contract and stamp-duty compliance requires verification on re...
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The ITAT accepted that the assessee's trading activity and customer service functions formed an integrated business model, so separate carving out of a trading segment for transfer pricing was not justified. Following its decision in the assessee's own case for the immediately preceding year, the Tribunal held that the transaction profile was identical and that the Transfer Pricing Officer's segmentation approach could not be sustained. It therefore accepted the assessee's claim for application of the Transactional Net Margin Method at entity level and rejected separate benchmarking of the trading activity.
The ITAT accepted that the assessee's trading activity and customer service functions formed an integrated business model, so separate carving out of a trading segment for transfer pricing was not justified. Following its decision in the assessee's own case for the immediately preceding year, the Tribunal held that the transaction profile was identical and that the Transfer Pricing Officer's segmentation approach could not be sustained. It therefore accepted the assessee's claim for application of the Transactional Net Margin Method at entity level and rejected separate benchmarking of the trading activity.
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