Wednesday 30 July 2014

Royalty payments allowed in earlier years couldn’t be doubted by TPO in later years without any chan

IT/ILT : Where for earlier assessment years, payment of royalty to AE was being claimed and allowed as business expenditure of assessee, in absence of any new facts, for relevant assessment year TPO erred in law for determining Arm's Length Price (ALP) of royalty payment to AEs of assessee at NIL


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