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    <title>2016 (1) TMI 1280 - ITAT MUMBAI</title>
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    <description>The Tribunal partly allowed the appeal of the assessee for statistical purposes. Several issues, including Transfer Pricing Adjustments related to AMP Expenditure and Adjustments on Account of Royalty and Technical Know-How Payments, were remanded to the AO/TPO for fresh adjudication in line with relevant precedents and guidelines. Disallowances on various expenses such as Interest Expenditure, Tax on Brand Usage Royalty, Service Tax, and other items were either allowed or remanded for reconsideration based on the Tribunal&#039;s analysis and previous decisions. Penalty proceedings and interest levies were dismissed as consequential to the main issues.</description>
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    <pubDate>Thu, 07 Jan 2016 00:00:00 +0530</pubDate>
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      <title>2016 (1) TMI 1280 - ITAT MUMBAI</title>
      <link>https://www.taxtmi.com/caselaws?id=192072</link>
      <description>The Tribunal partly allowed the appeal of the assessee for statistical purposes. Several issues, including Transfer Pricing Adjustments related to AMP Expenditure and Adjustments on Account of Royalty and Technical Know-How Payments, were remanded to the AO/TPO for fresh adjudication in line with relevant precedents and guidelines. Disallowances on various expenses such as Interest Expenditure, Tax on Brand Usage Royalty, Service Tax, and other items were either allowed or remanded for reconsideration based on the Tribunal&#039;s analysis and previous decisions. Penalty proceedings and interest levies were dismissed as consequential to the main issues.</description>
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      <pubDate>Thu, 07 Jan 2016 00:00:00 +0530</pubDate>
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