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Clarification on provisions governing transfer price in an international transaction

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....new sections 92 and 92A to 92F. These new provisions lay down that income arising from an international transaction between associated enterprises shall be computed having regard to the arms length price. The term associated enterprise has been defined in section 92A. Section 92B defines an international transaction between two or more associated enterprises. The provisions contained in section 92....

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....ing the manner and the circumstances in which different methods would be applied in determining arms length price and the factors governing the selection of the most appropriate method. The form of the report of the accountant and the documents and information required to be maintained by the assessees have also been prescribed. The aforesaid provisions have been enacted with a view to provide a ....

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....t make any adjustment to the arms length price determined by the taxpayer, if such price is up to 5 per cent. less or up to 5 per cent. more than the price determined by the Assessing Officer. In such cases the price declared by the taxpayer may be accepted. (ii) The provisions of sections 92 and 92A to 92F come into force with effect from 1st April, 2002, and are accordingly applicable to the as....