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NEWS FLASH
 
An extraordinary going by GST Council; More decisions to be made tomorrow (See 'The Cob (Web)'Column in TIOL) Income Tax - For having correct transfer pricing adjustment difference in working capital position of the assessee vis--vis the comparable companies should be made - ITAT (See 'Breaking News') TP - Plea which was not before ITAT, cannot be considered as a question of law before High Court: HC (See 'Breaking News') TP - Cost recharge paid to assessee by its AE for supply of hardware, is a pass through cost, if same was reimbursed for acting as a facilitator only (See 'Breaking News') I-T - If issue of 'donation to a charitable trust' as specified transaction u/s 92BA was remanded in previous years, same treatment is to be given in current year also: HC (See 'Breaking News') I-T - If a payment has been made to a foreign entity with a view to carry on business outside India, no TDS need to be made on such payment: ITAT (See 'Breaking News') IT - Loss arising on revaluation of debtors and creditors balances on the basis of FEF should be allowed as revenue loss, when the same is not on account of speculation: ITAT I-T - Assessee cannot exclude depreciation from computation of operating margin ratio, as depreciation is one of major operating costs of manufacturing industry: ITAT I-T - Branch office in India is to be considered as 'enterprise' u/s 92F(iii) and transactions between them will be 'Intl transactions': ITAT (See 'Breaking News') TP - No addition is to be made to assessee's income, in respect of 'marked to market losses' shown in balance sheet: ITAT (See 'Breaking News') I-T- Provision created by assessee for obsolescence for slow and non-moving items cannot be disallowed merely on the basis of unascertained liability: ITAT (See 'Breaking News') TP - TPO is not permitted to recharacterize transaction in case of Intra group services: ITAT (See 'Breaking News') TP - No TP adjustment can be made at an entity level, in absence of segmental break-up: HC (See 'Breaking News') Taxing Americans (See 'TII Special') APA caravan continues; crosses 100-Mark (See 'TII Brief') First Mega Decision of GST Council - Service Providers & Manufacturers exited from Composition Scheme (See 'The Cob (Web)'Column in TIOL) Tax reforms post-crisis - Focus back on boosting growth: OECD (See 'TII Brief') TP - Decision in relation to an activity to which TP adjustments were ordered in a particular AY has to be taken by TPO who has carried out actual assessment: HC (See 'Breaking News') TP - Two different methods for ALP determination cannot be used for computing TP adjustment in case of attribution of profit from common international transaction: ITAT (See 'Breaking News') TP - AMP payments made to domestic parties cannot be termed as 'international transaction', in absence of any arrangement for sharing of AMP expenses for sole benefit of AE: ITAT (See 'Breaking News')
 
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TII BREAKING NEWS
 
Income Tax - For having correct transfer pricing adjustment difference in working capital position of the assessee vis--vis the comparable companies should be made - ....
TP - Plea which was not before ITAT, cannot be considered as a question of law before High Court: HC ....
TP - Cost recharge paid to assessee by its AE for supply of hardware, is a pass through cost, if same was reimbursed for acting ....
I-T - If issue of 'donation to a charitable trust' as specified transaction u/s 92BA was remanded in previous years, same treatment is to be ....
< More News >
 
TII SPECIAL Sep 26, 2016
 
Taxing Americans
By M R Dua

WITH less than five weeks to go for America's presidential election on November 7 - 8, the 'do or die' poll campaign is at its peaks currently. The two major national political parties' contenders to capture White House beginning 21 January 2017, Democrat Hillary Rodham Clinton, and Republican Donald John Trump, have been ....

 
TII EDIT Sep 15, 2016
 
The 'Apple' of Discord between EU and USA
By D P Sengupta

TAX treaties have a long history. The essential purpose of a tax treaty is to ensure that same income is not taxed twice or multiple times for the simple reason that such multiple taxation is bad for the growth of cross border trade and investment. To achieve this end ,countries enter into bilateral ....

 
BULLETIN BOARD
 
New Delhi, Sep 08, 2016
India-Seychelles Sign EoI Agreement...
New Delhi, Sep 02, 2016
India Notifies DTAA With Maldives Only For Income Deried From International Airport Transp...
< More News >
 
TII BRIEF
 
New Delhi, Sep 23, 2016
APA caravan continues; crosses 100-Mark ...
Paris, Sep 23, 2016
Tax reforms post-crisis - Focus back on boosting growth: OECD ...
Paris, Sep 22, 2016
Weak trade & financial distortions damaging global growth prospects: OECD ...
New Delhi, Sep 21, 2016
India, Samoa agree to exchange info on tax evasion...
New York, Sep 21, 2016
UN Commission calls for investments in health workforce to realise development goals ...
 
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