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The ITAT determined that the Transactional Net Margin Method ...


Transfer Pricing Dispute Resolved: TNMM Validated as Superior Method for Benchmarking International Goods Sale Transactions

May 6, 2025

Case Laws     Income Tax     AT

The ITAT determined that the Transactional Net Margin Method (TNMM) was the most appropriate method for benchmarking international goods sale/export transactions, overturning the revenue's Comparable Uncontrolled Price (CUP) method. The transfer pricing adjustment was set aside, and the matter was remanded to the assessing officer to determine the arm's length price using TNMM. The appellate tribunal ruled in favor of the assessee, allowing the appeal for statistical purposes and directing a fresh assessment based on the approved transfer pricing methodology.

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