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    Transfer pricing limitation and DTAA relief: time-bar finding reversed, merits remanded, fresh treaty claim not admitted.
    Year of taxability for unexplained share investment must match the purchase year, not a later assessment year.
    Aggregated TNMM and CSR donation deduction principles shape transfer pricing relief and section 80G allowance
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      A High Court held that a Dispute Resolution Panel direction was...

      Binding DRP directions barred a section 40(a)(i) addition, and writ relief was granted despite an alternate appeal remedy.

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      Income TaxApril 29, 2026Case LawsHC
      A High Court held that a Dispute Resolution Panel direction was binding and could not be ignored by the Assessing Officer. Because no departmental appeal had been filed on the earlier years' issue, the addition made under section 40(a)(i) was contrary to the DRP's clear mandate and could not be sustained. The Court therefore exercised writ jurisdiction to quash the demand, including interest, relatable to that addition, despite the availability of an alternate appellate remedy. The remaining transfer pricing adjustment was left open to challenge in the ordinary appeal, with protection against limitation if filed within the time granted.

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      ActsIncome Tax