Transfer pricing adjustment - whether the transactions between ...
Indian Head Office and Canadian Branch Transactions Not Classified as International Transactions in Transfer Pricing Case.
June 15, 2015
Case Laws Income Tax AT
Transfer pricing adjustment - whether the transactions between the head office in India and branch office in Canada can be considered as international transactions, even though the assessee inadvertently reported the same so as a matter of abundant caution? - Held No - AT
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