TP Adjustment - selection of MAM - Tribunal held that resale ...
Tribunal Rejects Taxpayer's Resale Price Method for ALP; Case Sent Back to Transfer Pricing Officer for Review.
August 9, 2022
Case Laws Income Tax HC
TP Adjustment - selection of MAM - Tribunal held that resale price method adopted by the assessee in determining its ALP of international transactions with AE, is not applicable, while remanding the matter back to the TPO for fresh determination - Transfer Pricing Officer is directed to redo the entire process of determination of ALP of international transactions with AE, without being influenced by any observation made by the Tribunal and render an independent finding with regard to the issues involved herein - HC
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