Transfer pricing adjustment - interest rate charged by the ...
Court Rules Assessee's High Interest Rate in International Loan Transaction Meets Arm's Length Standard, Aligns with Market Norms.
July 7, 2015
Case Laws Income Tax AT
Transfer pricing adjustment - interest rate charged by the assessee in the international transactions was much higher than the LIBOR rates - interest charged in the loan transaction in question has to be held to be as at arm’s length - AT
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