Related Articles

S.Africa: Summary of the Davis Tax Committee’s BEPS Sub-committee General Report released December 2014

Summary of the Davis Tax Committee’s BEPS Sub-committee General Report released December 2014 by Peter Dachs of ENS Introduction This note provides a summary of

Understanding the Comparable Profit Method (CPM) in Transfer Pricing

The Comparable Profit Method (CPM) is a widely used approach in transfer pricing, employed to ensure that transactions between related entities (often within multinational enterprises) align with the arm’s length principle.

Essential Components of Transfer Pricing Documentation

Learn what essential elements should be included in transfer pricing documentation to ensure compliance and mitigate risks.

Delhi High Court vs ABIC India Pvt. Ltd: TRANSFER PRICING CASE

The High Court of Delhi, in its judgment dated 14 October 2024, upheld the Tribunal’s decision to reinstate the Transactional Net Margin Method (TNMM) as the most appropriate transfer pricing method for SABIC India Pvt Ltd. The Revenue, represented by the Principal Commissioner of Income Tax -7, challenged the Tribunal’s ruling, which annulled the adjustment of ₹3,61,32,20,620/- made by the Transfer Pricing Officer (TPO) using the residual “other method” under Rule 10B(1)(f) of the Income Tax Rules, 1962.

Responses