Tuesday, 11 June 2013

ALP of royalty paid to AEs on mark-up basis can’t be taken as nil if payment made for business purpo

IT/ILT: Where assessee made payment to its principal for using technical know-how on value added price, it constituted a payment for business purpose and, thus, impugned adjustment made by TPO taking value of royalty payment as nil while determining ALP, was to be set aside


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