AO not Empowered to Ascertain ALP of International Transaction: Delhi HC [Read Order]
AO is not empowered to ascertain ALP of international transaction, rules Delhi HC
By Kalyani B. Nair - On April 13, 2024 8:32 pm - 2 mins read
A Division Bench of the Delhi High Court observed that the Assessing Officer ( AO ) is not empowered to ascertain arm length price ( ALP ) of international transaction. The present writ petition, at the instance of the assessee, sought to assail the impugned order passed under Section 144C read with Sections 143(3) and…
Your free access to Taxscan has Expired
To read the article, get a premium account.
Taxscan Premium
Why should you subscribe?
Enjoy our website without interruptions from advertisements
Receive Daily newsletters
Receive realtime Telegram/Whatsapp news updates
Download original Judgements / Order / Notifications / Circulars, etc