Thursday , November 26, 2020 |   04:51:48 IST
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NEWS FLASH
 
COVID-19: Funding of Global Vaccination Mission - Time to take gilt off tax havens' gingerbread! (See 'The Cob(Web) Column') TP - It is fit case for remand where CIT(A) mechanically upholds order of TPO in excluding certain comparable companies, without passing a speaking order or any valid reasoning: ITAT (See 'Breaking News') TP - When taxpayer purchases products from its AE's and resales same without any further value addition, then RPM is most appropriate method for determination of ALP: ITAT (See 'Breaking News') COVID-19: Funding of Global Vaccination Mission - Time to take gilt off tax havens' gingerbread! (See 'THE COB(WEB)' in TIOL) I-T - Once arm's length principle has been satisfied, there can be no further profit attributable to person even if it has PE in India: ITAT (See 'Breaking News') I-T - Tribunal finds it to be settled position in law, vide assessee's own case, that payment of commission to agents located outside India, for promotion of assessee's sales outside India, will not attract wittholding tax liability u/s 195. Hence orders in question are set aside: ITAT (See 'Breaking News') TP - Concern with extraordinary event cannot be held to be comparable in year of amalgamation: ITAT (See 'Breaking News') TP - High turnover is relevant criterion for choosing companies as comparable companies in determination of ALP in transfer pricing cases for purpose of computation of deduction u/s 92(C)(3) r.w.s 10A: ITAT (See 'Breaking News') Biden-Harris tax plan (See 'TII Edit') BO, LO & PO by foreign law firms - RBI issues fresh instruction (See 'Bulletin Board') Strong policy action needed for economic recovery: OECD (See 'TII Brief') TP - Company providing KPO service cannot be adopted as comparable to a company engaged in providing IT-enabled services: ITAT (See 'Breaking News') TP - Unless it is demonstrated that discount allowed in business transaction would not have been allowed in arm's length situation, ALP adjustment cannot be made in respect of same: ITAT (See 'Breaking News') I-T - Aabsence of HO expenses attributable to its business in India, in audit report or notes to accounts of Indian branch would not render it ineligible to claim deduction u/s 44C: ITAT (See 'Breaking News') TP - Where impact of delayed receivables has already been factored in working capital adjustment, no separate adjustment is warranted on outstanding receivables: ITAT (See 'Breaking News') TP - Following order passed in assessee's own case for previous AY, assessee is justified in adopting TNMM as most appropriate method for determining Arm's Length Price of intl transactions of export of finished goods to its Associated Enterprises: ITAT (See 'Breaking News') I-T - it is fit case for remand where CIT(A) upholds findings of AO in treating certain payments made by assessee as being Fees for Technical Service, but where CIT(A) also does not analyse nature of service rendered & does not consider other relevant evidence: ITAT (See 'Breaking News') Nosediving GDP takes U-turn in Q3 in OECD area (See 'Brief') COVID-19: Deliverance in small glass vial coming but Geopolitics need to be 'vaccinated' first! (See 'The Cob(Web)') TP - High turnover is relevant criterion for choosing companies as comparable companies in determination of ALP in transfer pricing cases for purpose of computation of deduction u/s 92(C)(3) r.w.s 10A: ITAT (See 'Breaking News') I-T - Taxpayer is eligible for benefit of Sec 273B if they have deposited correct amount of tax with applicable interest, before culmination of final proceedings by AO: ITAT (See 'Breaking News')
 
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