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Documents Found: 271 |
Title |
Forum |
Year |
Clearwater Capital Partners India (P) Ltd. vs ACIT
[LexDoc Id : 566689]
|
ITAT (Mumbai) |
2020 |
Avnet India (P) Ltd. vs DCIT
[LexDoc Id : 566688]
|
ITAT (Bangalore) |
2020 |
Khazanah India Advisors (P) Ltd. vs DCIT
[LexDoc Id : 566687]
|
ITAT (Mumbai) |
2020 |
DCIT vs Decent Dia jewels (P) Ltd.
[LexDoc Id : 566686]
|
ITAT (Mumbai) |
2020 |
Net Scout Systems Software India (P) Ltd. vs DCIT
Adjustment-Comparable-Whether, Deputy Commissioner of Income Tax (Transfer Pricing- IV), Bangalore ("Transfer Pricing Officer" or "learned TPO") grossly erred in determinin [LexDoc Id : 561796]
|
ITAT (Bangalore) |
2020 |
Sava Healthcare Ltd. vs DCIT
Arm's length price-International Transactions-Assessee is aggrieved by the transfer pricing adjustment of Rs. 10,14,06,297/- made in the final assessment order. The first legal issue raised in thi [LexDoc Id : 561820]
|
ITAT (Pune) |
2020 |
Toyota Kirloskar Motor (P) Ltd. vs DCIT
Re-opening of assessment-Bogus purchase-AO received information from DCIT(Investigation) that the assessee have availed bogus loan entries from entities engaged in the business of providing [LexDoc Id : 561815]
|
ITAT (Bangalore) |
2020 |
Cisco Systems Capital India (P) Ltd. vs DCIT
JCIT vs Cisco Systems Capital India (P) Ltd.
Required mandate-Overriding effect-Whether, CIT(A) has erred in not quashing the order passed u/s. 143(3) r.w.s. 254 r.w.s. 263 of the Act which is in violation of the mandate of sectio [LexDoc Id : 561814]
|
ITAT (Bangalore) |
2020 |
Walter Tools India (P) Ltd. vs ACIT
Transfer pricing addition-Arm’s length price-Transfer pricing addition of Rs. 1,59,45,450/- made by the AO by treating Arms' Length Price (ALP) of the international transaction of 'Payment of Man [LexDoc Id : 561515]
|
ITAT (Pune) |
2020 |
Johnson Controls-Hitachi Air Conditioning India Ltd. vs DCIT
ACIT and DCIT vs Johnson Controls-Hitachi Air Conditioning India Ltd.
Disallowance-Contract labour expenditure-Whether, CIT(A) erred in confirming the disallowance made by the Assessing Officer of a sum of Rs. 22,32,326 being weighted deduction claimed u/s.35(2 [LexDoc Id : 561514]
|
ITAT (Ahmedabad) |
2020 |
Bekaert Mukand Wire Industries (P) Ltd. vs DCIT
Computation of Arms length price-Value of international transactions in respect payment of services-Assessee, BMPL is engaged in manufacturing about 400 grades of long steel products in form of rods, bars and bright bars and steel alloy wires. Whethe [LexDoc Id : 561513]
|
ITAT (Pune) |
2020 |
Blue Coat Network India (P) Ltd. vs DCIT
Adjustment-Comparable-Whether, Deputy Commissioner of Income Tax (Transfer Pricing- IV), Bangalore ("Transfer Pricing Officer" or "learned TPO") grossly erred in determinin [LexDoc Id : 561115]
|
ITAT (Bangalore) |
2020 |
AT Kearney Ltd. vs ADIT
Transfer pricing adjustment-Rule 10B (2) of the Income Tax Rules, 1962. Selection of comparables-Whether, CIT (A) erred in selecting certain new comparables that are not comparable to Appellant in terms of functions performed, assets employed and [LexDoc Id : 561114]
|
ITAT (Delhi) |
2020 |
Kellogg India (P) Ltd. vs ITO
ITO vs Kellogg India (P) Ltd.
Charging of interest-Section 234C of the Income Tax Act, 1961. Assessed income of return income-Whether, interest to be charged under section 234C on returned income or assessed inocme. Held, perusal of provisions of section 234C would make it cl [LexDoc Id : 561350]
|
ITAT (Mumbai) |
2020 |
Aditya Birla Nuvo Ltd. vs Addl. CIT
ACIT vs Aditya Birla Nuvo Ltd.
Treatment of corporate guarantee-Section 92 of the Income Tax Act, 1961. International transaction-Whether, CIT (A) has erred in treating the corporate guarantee given by appellant for its overseas subsidiary as an international transaction under se [LexDoc Id : 561349]
|
ITAT (Mumbai) |
2020 |
Mavenir India (P) Ltd. vs DCIT
[LexDoc Id : 561296]
|
ITAT (Delhi) |
2020 |
Symantec Software India (P) Ltd. vs DCIT
Transfer pricing adjustment-Selection of comparables-Assessee company subsidiary of Symantec Operating Corporation USA, engaged in business of Software Development, Consultancy Services, and Technical Su [LexDoc Id : 560875]
|
ITAT (Pune) |
2020 |
Walvoil Fluid Power India (P) Ltd. vs DCIT
Treatment of tools and spares written off-Capital or Revenue expenditure-Whether, AO erred in holding that tools and spares written off during year were capital items when in reality they were merely consumable items used i [LexDoc Id : 560874]
|
ITAT (Bangalore) |
2020 |
Digital Juice Animations (P) Ltd. vs ACIT
Comparable-Deletion of adjustment-Whether, AO/TPO has erred in law and on facts by not correctly implementing the formula prescribed by the Organisation for Economic Cooperation and De [LexDoc Id : 560881]
|
ITAT (Bangalore) |
2020 |
Synamedia India (P) Ltd. vs ACIT
Transfer pricing adjustment-Selection of comparables-Assessee Company engaged in business of rendering software development and related services. Assessee challenged addition made by AO consequent to det [LexDoc Id : 560641]
|
ITAT (Bangalore) |
2020 |
Nymphea Developers (P) Ltd. vs ACIT
Rejection of application of stay-Addition on account of transfer pricing adjustment-Assessee company was engaged in business of real estate activities in development of project under collaboration. TPO rejected benchmarking made by as [LexDoc Id : 560267]
|
ITAT (Delhi) |
2020 |
GMR Infrastructure Ltd. vs ACIT
[LexDoc Id : 560265]
|
ITAT (Bangalore) |
2020 |
Haldor Topsoe India (P) Ltd. vs DCIT
Transfer pricing adjustment-Selection of comparables-Taxpayer is wholly owned subsidiary of HTIAS, Danish company engage in services to industry operating in fertilizer, petro-chemical and refinery and o [LexDoc Id : 560280]
|
ITAT (Delhi) |
2020 |
Goldman Sachs Services (P) Ltd. vs JCIT
Computation of operating margins of comparables-Section 92CA of the Income Tax Act, 1961. Rule 10B of the Income Tax Rules, 1962. Transfer pricing adjustment-Whether, DRP and AO/TPO erred in computing operating margins of comparable companies at higher levels than actual. Held, reading of Rule 10B(l)(e)(iii [LexDoc Id : 560261]
|
ITAT (Bangalore) |
2020 |
Destination of the Worth (Subcontinent) (P) Ltd. vs DCIT
Transfer pricing adjustment-Working of net profit margin-M/s. Destination of Worth (Subcontinent) Pvt. Ltd., taxpayer is wholly owned subsidiary of Destination of World Holdings establishment, Liechtenstein. [LexDoc Id : 560258]
|
ITAT (Delhi) |
2020 |
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