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Income Tax - Highlights / Catch Notes

Home Highlights November 2016 Year 2016 This

Transfer pricing adjustment - the action of the AO was not ...

Case Laws     Income Tax

November 5, 2016

Transfer pricing adjustment - the action of the AO was not sustainable because he on the one hand had accepted TNMM and also used profit split method for attribution of profit on the international transaction at 50:50 ratio. - either of the two methods could have been used and not both - AT

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