Transfer Pricing Assessments for AY 2023–24: Why Every Submission Now Shapes Your Entire Litigation Journey April 17, 2025 11:25 am Read More >
LIBOR vs. Domestic Rates: Harsco India’s Transfer Pricing Win Signals a Clearer Standard for Cross-Border Loans April 17, 2025 11:23 am Read More >
CBDT Raises Safe Harbour Thresholds: A Strategic Boost for Mid-to-Large Multinationals April 17, 2025 11:19 am Read More >
The Principal Purpose Test (PPT) Under India’s DTAA: CBDT’s New Guidance and Its Implications April 17, 2025 11:18 am Read More >
The Unilever Transfer Pricing Case: A Lesson in Advance Pricing Agreement and Dispute Resolution April 17, 2025 11:17 am Read More >
Transfer Pricing and the SEZ Conundrum: The Aurobindo Pharma Case and Its Far-Reaching Implications April 17, 2025 11:15 am Read More >
Comparison of Section 165 of the Income Tax Bill 2025 with Section 92C of the Income Tax Act 1961 April 17, 2025 11:14 am Read More >
Comparison of Section 164 of the Income Tax Bill 2025 with Section 92BA of the Income Tax Act 1961 April 17, 2025 11:13 am Read More >
Comparison of Section 163 of the Income Tax Bill 2025 with Section 92B of the Income Tax Act 1961 April 17, 2025 11:12 am Read More >
Comparison of Section 162 of the Income Tax Bill 2025 with Section 92A of the Income Tax Act 1961 April 17, 2025 11:12 am Read More >
Comparison of Section 161 of the Income Tax Bill 2025 with Section 92 of the Income Tax Act 1961 April 17, 2025 11:11 am Read More >
Comparison of Section 160 of the Income Tax Bill 2025 with Section 91 of the Income Tax Act 1961 April 17, 2025 11:10 am Read More >
Comparison of Sections 90 & 90A (Income Tax Act, 1961) with Section 159 (Income Tax Bill, 2025) April 17, 2025 11:09 am Read More >
Comparison of Sections 90 & 90A (Income Tax Act, 1961) with Section 159 (Income Tax Bill, 2025) April 17, 2025 11:07 am Read More >
International Taxation and TDS: The Case of Allsec Technologies Ltd. and Its Implications for Businesses February 7, 2025 2:54 pm Read More >
Budget Update: Rationalisation of Transfer Pricing Provisions for Multi-Year Arm’s Length Price Determination February 7, 2025 2:51 pm Read More >
Assessing Permanent Establishment (PE) Under the India-Korea DTAA: Insights from Samsung Electronics Case January 23, 2025 6:00 am Read More >
Understanding the Impact of Omission of Section 92BA(i) on Transfer Pricing Adjustments: Insights from the Goldbricks Infrastructure Case January 23, 2025 5:59 am Read More >
Understanding Interest on Outstanding Receivables in Transfer Pricing: The Ramboll India Case January 23, 2025 5:58 am Read More >
Deduction Under Section 10A and Entity-Level Transfer Pricing: A Deep Dive into the Birlasoft Case January 23, 2025 5:50 am Read More >
Debating Transfer Pricing Adjustments: Insights from the Indorama Ventures Oxides Ankleshwar Case January 23, 2025 5:30 am Read More >
Exclusion of High-Brand-Value Entities as Comparables: Insights from Cadence Design Systems (India) Case January 23, 2025 5:15 am Read More >
Detailed Analysis: ITAT Ruling on Section 56(1) and Transfer Pricing in the RKM Powergen Private Limited Case January 23, 2025 5:10 am Read More >
Understanding the India-Singapore DTAA: Insights from the Tyco Electronics Singapore Case January 21, 2025 4:28 am Read More >
Appreciating the Mandatory Time Limit for Transfer Pricing Orders: Learnings from the Karnataka High Court’s ruling September 21, 2024 4:45 am Read More >