<?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>2024 (12) TMI 852 - ITAT DELHI</title>
    <link>https://www.taxtmi.com/caselaws?id=763272</link>
    <description>In a transfer pricing dispute, interim protection was granted because the disputed comparables appeared to have only a marginal effect on the arm&#039;s length margin, the assessee was debt free, and the adjustments relating to software service provisions and interest on outstanding receivables were arguable. On that basis, the demand for assessment year 2020-21 was stayed for 180 days or until disposal of the appeal, whichever was earlier, and early hearing was listed.</description>
    <language>en-us</language>
    <pubDate>Fri, 05 Jul 2024 00:00:00 +0530</pubDate>
    <lastBuildDate>Tue, 17 Dec 2024 08:42:40 +0530</lastBuildDate>
    <generator>TaxTMI RSS Generator</generator>
    <atom:link href="https://www.taxtmi.com/rss_feed_blog?id=783051" rel="self" type="application/rss+xml"/>
    <item>
      <title>2024 (12) TMI 852 - ITAT DELHI</title>
      <link>https://www.taxtmi.com/caselaws?id=763272</link>
      <description>In a transfer pricing dispute, interim protection was granted because the disputed comparables appeared to have only a marginal effect on the arm&#039;s length margin, the assessee was debt free, and the adjustments relating to software service provisions and interest on outstanding receivables were arguable. On that basis, the demand for assessment year 2020-21 was stayed for 180 days or until disposal of the appeal, whichever was earlier, and early hearing was listed.</description>
      <category>Case-Laws</category>
      <law>Income Tax</law>
      <pubDate>Fri, 05 Jul 2024 00:00:00 +0530</pubDate>
      <guid isPermaLink="true">https://www.taxtmi.com/caselaws?id=763272</guid>
    </item>
  </channel>
</rss>