The Income Tax Appellate Tribunal (ITAT), Bangalore Bench allows the dispute to be withdrawn in respect of the grounds challenging the Transfer Pricing (TP) addition due to Unilateral Advance Pricing Arrangement (APA). The assessee, M/s. Citizen Watches (India) Pvt. Ltd. has entered into an Advance Pricing Agreement (APA) under Section 92CC of the Act. The […]from Taxscan | Simplifying Tax Laws https://ift.tt/33zBmhF
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