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2015 (9) TMI 1433 - HC - Income TaxValidity of transfer pricing adjustment order in respect of the expenditure incurred by the Assessee on advertisement, marketing and publicity expenses - Held that:- Since the issue in the present appeal concerning AY 2009-2010 is similar to the one arising in AY 2008-09, the Court finds no reason why the matter as far as AY 2009-2010 should also not be remanded to the TPO/AO for a fresh determination in accordance with the decision in Sony Ericsson Mobile Communications India P. Ltd. (2015 (3) TMI 580 - DELHI HIGH COURT ).
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