In the result, both the appeals of the assessee are allowed
Bench: Sh. Kul Bharatdr. B. R. R. Kumar
transfer pricing documentation by applying the Transactional Net Margin Method (‘TNMM’). Since the profit margin of the appellant at 33.95% was higher than the median margin of 10.16% earned by the comparable companies, the transaction was considered to be at arm’s length. 9. The TPO relying upon the orders for the earlier years, rejected the TNMM method applied