Tuesday, 21 May 2013

International transactions are at ALP if sharing of profits in equal ratio by assessee with its AE i

IT/ILT : Where assessee, a logistics service provider, undertook international transactions with its AEs and it had earned/paid revenue from /to its AEs in same proportion, transactions had been recorded at arm's length price and there was no justification for making adjustment in ALP worked out by assessee


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