TPA - it is since the parameters laid down in sub-section (1) ...
Transfer Pricing Adjustment Invalid: No Associated Enterprise Relationship Found Under Chapter X of Income Tax Act.
July 25, 2016
Case Laws Income Tax AT
TPA - it is since the parameters laid down in sub-section (1) are not fulfilled, there is no relationship of AE between assessee-company and JII and therefore, the provisions of chapter X of the Act have no application. In the result, the transfer pricing adjustment made by the TPO is not valid in law. - AT
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