Approved resolution plans extinguish unsubmitted pre-approval tax claims, preventing later recovery outside the insolvency process and preserving a cl...
Transfer pricing comparability requires functional alignment and permits working capital adjustment, while APA margins cannot govern non-covered years...
Treaty benefit, goodwill depreciation and hedging costs: export commission disallowed, while key business deductions and depreciation claims succeeded...
Undisclosed foreign asset classification requires an unexplained source; unrebutted affidavits and corroborative evidence defeated the Black Money Act...
Transfer pricing benchmarking under the Comparable Uncontrolled Price method turned on whether commodity broker quotations from Sunvin Group and MMSPL could be treated as reliable external CUP data. The Tribunal, following earlier Delhi High Court and ITAT decisions, held that such quotations are valid where they relate to the actual transaction, are publicly available, and no material casts doubt on their authenticity or reliability. On that basis, rejection of the quotations was unsustainable, the assessee's challenge succeeded, and the transfer pricing adjustment was deleted; the remaining connected grounds became infructuous.
Transfer pricing benchmarking under the Comparable Uncontrolled Price method turned on whether commodity broker quotations from Sunvin Group and MMSPL could be treated as reliable external CUP data. The Tribunal, following earlier Delhi High Court and ITAT decisions, held that such quotations are valid where they relate to the actual transaction, are publicly available, and no material casts doubt on their authenticity or reliability. On that basis, rejection of the quotations was unsustainable, the assessee's challenge succeeded, and the transfer pricing adjustment was deleted; the remaining connected grounds became infructuous.
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