In a transfer pricing matter more often than not we get to read an observation or a remark by the Courts and Tribunal/DRP that ‘we are unable to treat this company fit for comparability analysis for determining the arm’s length price for the assessee in the absence of segmental details’.In a transfer pricing matter more often than not we get to read an observation or a remark by the Courts and Tribunal/DRP that ‘we are unable to treat this company fit for comparability analysis for determining the arm’s length price for the assessee in the absence of segmental details’.taxmann.com Latest ArticlesRead More
Transfer pricing Limitations
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- Post published:August 17, 2020
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