Deduction u/s.80IC - profit attributable to marketing division ...
Section 80IC Deduction on Marketing Profits: Disallowing Gross Profit for Foreign-Owned Brand Value Deemed Incorrect.
July 9, 2016
Case Laws Income Tax AT
Deduction u/s.80IC - profit attributable to marketing division and brand value to be disallowed or not - CIT(A) has given finding that the same is owned by the foreign collaborator and there cannot be any profit attributable to brand. - disallowing gross profit attributable to marketing and brand value is not correct - AT
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