<?xml version="1.0" encoding="UTF-8"?>
<?xml-stylesheet type="text/xsl" href="https://www.taxtmi.com/rss_sitemap/rss_feed_blog.xsl?v=1750492856"?>
<rss version="2.0" xmlns:atom="http://www.w3.org/2005/Atom">
  <channel>
    <title>2018 (1) TMI 1033 - ITAT MUMBAI</title>
    <link>https://www.taxtmi.com/caselaws?id=354297</link>
    <description>The appeal was allowed by the Tribunal in favor of the assessee. The Tribunal held that the Transfer Pricing adjustment on Advertisement, Marketing, and Promotion expenses was not justified as it was not considered an international transaction. Additionally, the disallowance of depreciation on plant and machinery and building was overturned, and the payments made to doctors were deemed allowable under section 37(1) of the Act. The Tribunal&#039;s decision was pronounced on 17th January 2018.</description>
    <language>en-us</language>
    <pubDate>Wed, 17 Jan 2018 00:00:00 +0530</pubDate>
    <lastBuildDate>Sun, 21 Jan 2018 12:19:00 +0530</lastBuildDate>
    <generator>TaxTMI RSS Generator</generator>
    <atom:link href="https://www.taxtmi.com/rss_feed_blog?id=505698" rel="self" type="application/rss+xml"/>
    <item>
      <title>2018 (1) TMI 1033 - ITAT MUMBAI</title>
      <link>https://www.taxtmi.com/caselaws?id=354297</link>
      <description>The appeal was allowed by the Tribunal in favor of the assessee. The Tribunal held that the Transfer Pricing adjustment on Advertisement, Marketing, and Promotion expenses was not justified as it was not considered an international transaction. Additionally, the disallowance of depreciation on plant and machinery and building was overturned, and the payments made to doctors were deemed allowable under section 37(1) of the Act. The Tribunal&#039;s decision was pronounced on 17th January 2018.</description>
      <category>Case-Laws</category>
      <law>Income Tax</law>
      <pubDate>Wed, 17 Jan 2018 00:00:00 +0530</pubDate>
      <guid isPermaLink="true">https://www.taxtmi.com/caselaws?id=354297</guid>
    </item>
  </channel>
</rss>