Bench: Shri D.T. Garasia & Shri O.P. Meena
10B(1)(a) d) Questioning the commercial rationale of the legitimate business expense incurred by the taxpayer and not restricting the scope of assessment under section 92CA to determining the arm`s length price of international transactions by adopting one of the prescribed method only. e) Not appreciating that even if payment for technical services is held to be covered