Reopening of assessment u/s 147 - TP Adjustment - The impugned ...
Court Upholds Transfer Pricing Order: No Suo-Motu Initiation by TPO; Section 92CA(2C) Inapplicable in Assessment Reopening.
June 26, 2021
Case Laws Income Tax HC
Reopening of assessment u/s 147 - TP Adjustment - The impugned order is not a suo-motu proceedings initiated by the Transfer Pricing Officer under Sub-Section 2B of Section 92CA of the Act and therefore, Sub-Section 2C of Section 92CA of the Act would not be applicable. - This Court is of the considered opinion that there is no infirmity or perversity as such in respect of the order impugned passed by the Transfer Pricing Officer with regard to the reference made by the Assessing Officer regarding certain international transactions or otherwise. - HC
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