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NEWS FLASH
TP - Determination of Arms Length Price at nil is invalid where neither based on any benchmarking analysis by adopting any of prescribed methods under I-T Act nor having considered any comparable transaction: ITAT (See 'Breaking News')
I-T - Commission expenses paid through bank account cannot be disallowed, if genuineness of payment is well establiashed: ITAT (See 'Breaking News')
GDP marginally picks up in G20 economies in Q1: OECD (See 'Brief')
I-T- Written Down Value in books of associated enterprise of assessee cannot be considered as ALP applying internal CUP : HC (See 'Breaking News')
TP- No transfer pricing adjustment can be made on account of domestic transaction which has been referred by the AO , after omission of Clause (i) of section 92BA of the Act by Finance Act 2017: ITAT (See 'Breaking News')
TP- On the basis of material or information or documents in possession, if TPO is of the opinion that information or data used in computation of arm's length price is not reliable or correct, TPO may proceed to determine ALP in relation to international transactions in accordance with section 92C(1) and 92C(2) : ITAT (See 'Breaking News')
TP - Final assessent order is vitiated where passed while the assessee's objections against draft assessment order are still pending consideration before DRP: HC (See 'Breaking News')
TP- TPO cannot make adjustment to the entire segment of manufacturing activity and only to the extent of international transactions: ITAT (See 'Breaking News')
TP - Final order framing TP adjustment on account of transaction involving purchase of fixed assets, is not tenable, where the draft order preceding the final order, did not propose any adjustment on this ground: ITAT (See 'Breaking News')
I-T- ITAT should interfere with the order passed by Revenue when there is inadvertent mistake on the part of the assessee : ITAT (See 'Breaking News')
I-T-Case must be remad back to AO for passing of fresh order when assessee has not been gien opportunity of hearing to assessee : ITAT (See 'Breaking News')
I-T - Since order of exclusion of Vishal Information Technologies Ltd. and Nucleus Netsoft & GIS (India) Ltd is found justified, no interferance is warranted: HC (See 'Breaking News')
I-T - Issue of exclusion of IEX being a comparable need further examination as requested by Revenue: HC (See 'Breaking News')
Foreign company - Rate of tax to be charged - A peep into Calcutta High court ruling in Royal Bank of Scotland case Calcutta High court in the Royal Bank of Scotland case (See TII Edit)
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