56 results for “transfer pricing”+ Section 166clear
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In the result, all appeals of the assessee are allowed
Transfer Pricing Officer made a variation to the Arm's Length\nPrice and valued the transaction at Rs.517.82 per share. In other words, he\nrecommended a variation in the Arm's Length Price. In these circumstances, the\nPetitioner would certainly be an eligible Assessee as contemplated under Section\n144C(15)(b) (i) of the IT Act. Since this variation