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2018 (3) TMI 1212 - HC - Income TaxAppeal admitted on question (ii) Whether in the facts and circumstances of the case and in law, was the Tribunal correct in holding that the sales made to its associate enterprises has to be benchmarked on the basis of the average price of a number of transaction and not with regard to the price of each individual transaction for arriving at the Arm's Length Price(ALP)?
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