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2016 (2) TMI 1103

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..... ed in holding that there was an international transaction between the Assessee and its Associated Enterprise with regard to advertising, marketing and publicity (AMP) expenses and in remanding the matter to the Assessing Officer/Transfer Pricing Officer for determining the arms length price of such transaction for the purposes of transfer pricing adjustment?
JUSTICE S.MURALIDHAR AND JUSTICE VIB .....

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..... ion: Whether in light of the decision of Maruti Suzuki Ltd. v. CIT (2016) 381) ITR 117 (Del) the ITAT was justified in holding that there was an international transaction between the Assessee and its Associated Enterprise with regard to advertising, marketing and publicity (AMP) expenses and in remanding the matter to the Assessing Officer/Transfer Pricing Officer for determining the arms length .....

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