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Shadow of Litigation on GAAR thus far (See 'TII Edit') Ageing population to strain European pension systems: OECD (See Brief) DTAA - Delivery Order Charges are directly connected to transportation of goods; fall within scope of Article 8 of India-Turkey DTAA - such charges not taxable in India, as are collected after transportation at point when goods handed over to consignee: ITAT (See Breaking News) African GDP may double if USD 155 bn pumped into infra sector: OECD (See Brief) INTL - CSR contributions, though not allowable as business expenditure u/s 37(1), qualify for deduction u/s 80G if the prescribed conditions are fulfilled: ITAT (See Breaking News) TP - Ttransaction between assessee and AE is in foreign currency with regard to receivables, then transaction would have to be looked upon by applying commercial principles with regard to international transactions - YES: ITAT (See Breaking News) TP - If CCDs issued are in nature of debt, then interest paid on same should be benchmarked as per applicable transfer pricing provision after applying most appropriate method considering availability of data: ITAT (See Breaking News) Illicit trade in tobacco results in revenue loss of over USD 47 billion: WHO (See Brief) TP - Capital financing between two AE should be benchmarked as loan transaction for noticeably brief period between two related parties where there is minimum risk: ITAT (See Breaking News) TP - Each international transaction must be separately evaluated u/s 92C; acceptance of benchmarking for basic market-research services does not automatically cover infrastructure service fees & reimbursements: ITAT (See Breaking News)
 
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DTAA - Delivery Order Charges are directly connected to transportation of goods; fall within scope of Article 8 of India-Turkey DTAA - such charg...
INTL - CSR contributions, though not allowable as business expenditure u/s 37(1), qualify for deduction u/s 80G if the prescribed conditions are ...
TP - Ttransaction between assessee and AE is in foreign currency with regard to receivables, then transaction would have to be looked upon by app...
TP - If CCDs issued are in nature of debt, then interest paid on same should be benchmarked as per applicable transfer pricing provision after ap...
TP - Capital financing between two AE should be benchmarked as loan transaction for noticeably brief period between two related parties where the...
TP - Each international transaction must be separately evaluated u/s 92C; acceptance of benchmarking for basic market-research services does not ...
TP - Income does not arise in India in respect of remittances received by non-resident, where such payment is for sale of software & telecom equi...
DTAA - Network fee received from Indian group entities did not constitute fees for technical services or royalty either under I-T Act or relevant...
TP - Time limit for passing order u/s 92CA(3A) is sixty days prior to date on which limitation referred in section 153 expires: ITAT...
TP - Cost plus method cannot be discarded for benchmarking specified domestic transaction, without pointing defects: ITAT...
I-T - Inland haulage charges from operation of ships is not taxable as business income: ITAT ...
I-T - Every payment from source outside India or through NRE Account of assessee, cannot be treated as unexplained investment: ITAT...
I-T - GAAR provisions will not apply to transactions undertaken on stock exchange, for set-off of capital losses against capital gain, absent any...
I-T - Expenses incurred wholly and exclusively by Indian branch cannot be allocated to overseas branch and HO: ITAT...
I-T - If licence conferring no proprietary interest on licencee, does not entail parting with copyright, and core transaction authorises end-user...
TP - Bright line test is not appropriate method for benchmarking AMP transactions: ITAT...
I-T - Downward adjustment under MAP resolution found to be based on an ad-hoc estimate arrived at pursuant to mutual settlement, didn't have any ...
I-T - Delay in filing ITR has to be condoned if assessee is otherwise entitled to refund: HC...
I-T - If aircraft were never placed at disposal of foreign aircraft leasing company in India to conduct its business, such absence of lessor's op...
DTAA - Income earned by foreign company from support services rendered to its parent company, is not fees for technical services, as no technical...
 
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