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    <title>2018 (10) TMI 1950 - ITAT PUNE</title>
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    <description>The appeal was partly allowed in a transfer pricing case involving advisory services. The Tribunal directed adjustments for extraordinary wastage costs and inclusion of certain companies as comparables. It also restricted adjustments to transactions between Associated Enterprises only. The Assessing Officer/TPO was directed to re-compute margins and determine the Arm&#039;s Length Price accordingly. The appeal outcome favored the assessee on several grounds, with the order pronounced on October 17, 2018.</description>
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      <description>The appeal was partly allowed in a transfer pricing case involving advisory services. The Tribunal directed adjustments for extraordinary wastage costs and inclusion of certain companies as comparables. It also restricted adjustments to transactions between Associated Enterprises only. The Assessing Officer/TPO was directed to re-compute margins and determine the Arm&#039;s Length Price accordingly. The appeal outcome favored the assessee on several grounds, with the order pronounced on October 17, 2018.</description>
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