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2017 (1) TMI 1825 - AT - Income TaxTP Adjustment - selection of MAM - whether CIT(A) erred in by deleting the entire addition on account of transfer pricing by without going to merits of case and facts and ignored the TPO’s contention submitted through remand report and the directions of Hon’ble ITAT that the Arms Length price of international transactions of the appellant should be determined at entity level by following TNM method? - HELD THAT:- When this appeal came up for hearing, learned representatives fairly agreed that this appeal is ill-conceived inasmuch as the impugned order only gives effect to the Tribunal’s order which is already in appeal before the Hon’ble High Court. The grievance before us is thus clearly misplaced. Appeal dismissed.
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