ITAT Rules Against TPO's Allocation of Indirect Expenses Under Transfer Pricing Rules Section 92C
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....The ITAT held that the TPO's allocation of indirect expenses proportionate to export revenue was erroneous, as these expenses were also attributable to an abandoned project. The assessee had consistently disallowed the entire indirect expenses in income computation and allocated actual expenses to the trading activity. The tribunal found the TPO's approach flawed, resulting in an improper tinkering of the assessee's operating margin. Consequently, the ITAT directed the TPO to accept the assessee's operating margin of 6.24% for the trading activity. No transfer pricing adjustment was warranted. The grounds raised by the assessee were accordingly allowed, resolving the dispute in their favor.....