Just a moment...

Report
FeedbackReport
×

By creating an account you can:

Logo TaxTMI
>
Feedback/Report an Error
Email :
Please provide your email address so we can follow up on your feedback.
Category :
Description :
Min 15 characters0/2000
TMI Blog
Home / RSS

Multinational Tech Company Wins Partial Relief in Transfer Pricing Dispute Over Intangible Asset Valuation Under Section 92

X X   X X   Extracts   X X   X X

Full Text of the Document

X X   X X   Extracts   X X   X X

....ITAT adjudicated a transfer pricing dispute involving intangible asset valuation and arm's length pricing. The tribunal upheld CIT(Appeals)'s methodology, adopting royalty rates of 3.5% for technical know-how and 3% for trademarks based on OECD guidelines. The tribunal rejected TPO's initial Comparable Uncontrolled Price method, finding it unreliable. CIT(Appeals) modified the upward adjustment from Rs. 32,83,64,753/- to Rs. 17,76,95,458/-, specifically applying the adjustment only to Avecia products. The tribunal found no procedural infirmities in CIT(Appeals)' reasoning and confirmed the reduced transfer pricing adjustment, providing partial relief to the assessee while maintaining the core transfer pricing principles.....