THE PRL COMMISSIONER OF INCOME TAX-II, VISAKHAPATNAM vs. L SURYAKANTHAM, VISAKHAPATNAM
In the result, the appeal fails and is hereby dismissed
ITTA/285/2017HC Telangana08 Oct 2018
Bench: RAMESH RANGANATHAN,KONGARA VIJAYA LAKSHMI
Section 143(2)Section 14ASection 260Section 80JSection 92C
3) of
the Act. The Transfer Pricing Officer treated the expenditure
incurred on the advertisement and marketing and product
promotion as an international transaction and determined the
arms length price by applying bright line method. Pursuant
to the order passed by the Transfer Pricing Officer, a draft
assessment order was passed by the Assessing Officer, by
which disallowance