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TP - If company's financials show predominantly software development service income and it satisfies all quantitative filters, denial of inclusion merely because it provides ancillary support services is not justified: ITAT (See Breaking News) TP - ALP for benchmarking electricity transactions should include gross rate charged by State Electricity Authority, which includes mandatory charges such as demand and penal charges: ITAT (See Breaking News) DTAA - Provisions of the DTAA are not triggered by DDT paid by a domestic company u/s 115-O: ITAT (See Breaking News) I-T - Proviso to Sec 149 provides that up to A.Y 2021-22 (period before amendment), period of limitation as prescribed in erstwhile provisions of Section 149(1)(b) would be applicable: ITAT (See Breaking News) I-T - Income from distribution of standardized software products by distributor, who does not own intellectual property, cannot be characterized as FTS: ITAT (See Breaking News) I-T - If international transactions between parties relating to non-exclusive distributorship and sale of software, were found to be at arm's length, no further attribution of profit can be made to PE: ITAT (See Breaking News) INTL - Interest paid u/s 201(1A) for delayed deposit of TDS is not compensatory in nature & does not qualify as allowable business expenditure u/s 37(1): ITAT (See Breaking News) INTL - Disallowance u/s 40(a)(i) sustainable where assessee paid a substantial sum to an international consultant, thereby creating an employer-employee relationship attracting TDS u/s 192: ITAT (See Breaking News) I-T - Procedure u/s 144C(1) has to be followed by Assessing Officer only if he proposes to make any variation which is prejudicial to interest of eligible assessee: ITAT (See Breaking News)
 
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TP - If company's financials show predominantly software development service income and it satisfies all quantitative filters, denial of inclusio...
TP - ALP for benchmarking electricity transactions should include gross rate charged by State Electricity Authority, which includes mandatory cha...
DTAA - Provisions of the DTAA are not triggered by DDT paid by a domestic company u/s 115-O: ITAT ...
I-T - Proviso to Sec 149 provides that up to A.Y 2021-22 (period before amendment), period of limitation as prescribed in erstwhile provisions of...
I-T - Income from distribution of standardized software products by distributor, who does not own intellectual property, cannot be characterized ...
I-T - If international transactions between parties relating to non-exclusive distributorship and sale of software, were found to be at arm's len...
INTL - Interest paid u/s 201(1A) for delayed deposit of TDS is not compensatory in nature & does not qualify as allowable business expenditure u/...
INTL - Disallowance u/s 40(a)(i) sustainable where assessee paid a substantial sum to an international consultant, thereby creating an employer-e...
I-T - Procedure u/s 144C(1) has to be followed by Assessing Officer only if he proposes to make any variation which is prejudicial to interest of...
I-T - Simply because power of attorney was given to person residing in India, company incorporated outside India, cannot be held to be company re...
TP - If RHQ charges allocated to both segments are forming part of cost base of these segments respectively and by adopting aggregation approach,...
TP - Upper time limit for passing final assessment order u/s 143(3) r.w.s. 144C(13) r.w.s. 144B, is governed by provisions of Sec 153(1) and Sec ...
DTAA - As is trite law, additions based solely on internal identifiers like BUP IDs & presumptive deposits are unsustainable: ITAT ...
TP - Where clause (i) of section 92BA, was omitted vide the Finance Act, 2017, it cannot then be applied onto ongoing proceedings to frame TP adj...
TP - Payment of technical support service charges by assessee to its AEs with mark up of 5% over and above actual cost incurred by AEs is to be a...
DTAA - Filing of Form 67 is a procedural or directory requirement & not mandatory in nature: ITAT ...
I-T - If assessee had borrowed money from partnership firm and repaid loan, without deriving any benefit, such transactions resulting in merely t...
DTAA - Services of developing technologies & collaborating with academic institutions, involve transfer of technical knowledge or expertise so as...
TP - Where impact of extended credit period is subsumed within working capital adjustment while benchmarking operating margins, separate adjustme...
TP - Incentive granted under state industrial policy is capital subsidy aimed at promoting industrial development in backward areas & so qualifie...
 
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