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    <title>2023 (4) TMI 58 - ITAT BENGALURU</title>
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    <description>The tribunal partly allowed the appeal, remitting various transfer pricing adjustment issues, net margin computations, and notional interest adjustments back to the Transfer Pricing Officer/Assessing Officer for fresh determination in line with specific directions provided by the tribunal. The orders passed by the lower income tax authorities were upheld, dismissing the general grounds raised by the assessee. The conformity with the faceless assessment scheme under section 144B was found to be in order, and certain specific issues raised by the assessee were not pressed during the hearing.</description>
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      <title>2023 (4) TMI 58 - ITAT BENGALURU</title>
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      <description>The tribunal partly allowed the appeal, remitting various transfer pricing adjustment issues, net margin computations, and notional interest adjustments back to the Transfer Pricing Officer/Assessing Officer for fresh determination in line with specific directions provided by the tribunal. The orders passed by the lower income tax authorities were upheld, dismissing the general grounds raised by the assessee. The conformity with the faceless assessment scheme under section 144B was found to be in order, and certain specific issues raised by the assessee were not pressed during the hearing.</description>
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