COMMISSIONER OF INCOME TAX-III vs. WITTNESS SYSTEM
ITA/347/2013HC Karnataka11 Jul 2018
Bench: S.SUJATHA,VINEET KOTHARI
Section 10ASection 260
section 92C, the arm's length price in relation
to an international transaction shall be
determined by any of the following methods,
being the most appropriate method, in the
following manner, namely :--
(a).......
to
(d)........
(e) transactional net margin method, by
which,--
(i) the net profit margin realised by the
enterprise from an international transaction
entered into with an associated