482 results for “transfer pricing”+ Section 4(1)clear
Sorted by relevance
Key Topics
Showing 1–20 of 482 · Page 1 of 25
In the result, the penalty is directed to be deleted and appeal of the assessee is allowed
section 92C of the Income Tax Act. 3. During the course of assessment proceedings, the matter was referred by the Assessing officer to the Transfer Pricing Officer (TPO) and the TPO has adopted the CUP method for determination of arm’s length price and has proposed an adjustment of Rs. 18,65,77,973/- determined as the value of interest