Just a moment...

Top
Help
×

By creating an account you can:

Logo TaxTMI
>
Call Us / Help / Feedback

Contact Us At :

E-mail: [email protected]

Call / WhatsApp at: +91 99117 96707

For more information, Check Contact Us

FAQs :

To know Frequently Asked Questions, Check FAQs

Most Asked Video Tutorials :

For more tutorials, Check Video Tutorials

Submit Feedback/Suggestion :

Email :
Please provide your email address so we can follow up on your feedback.
Category :
Description :
Min 15 characters0/2000
TMI Blog
Home / TMI Blogs / RSS

TPO determination binds AO; AO cannot independently fix arm's-length price without complying with s.92CA(1) requirements

X X   X X   Extracts   X X   X X

Full Text of the Document

X X   X X   Extracts   X X   X X

....HC held that the Transfer Pricing Officer's (TPO) determination is binding on the Assessing Officer (AO) and the AO cannot independently determine the arm's-length price (ALP) without complying with s.92CA(1). Where the TPO issued an order without making adjustments, the AO had no jurisdiction to reopen or revise assessment on identical material already considered by the TPO absent fresh tangible material. Consequently, the petition by the taxpayer succeeds: the AO's action was quashed, the ALP must stand as determined through the TPO process, and any assessment based on unilateral AO determination without reference to the TPO is set aside.....