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Aggregation of Sales Allowed in Indian Transfer Pricing Case

|Approved Changes|India
India

The Mumbai Income Tax Appellate Tribunal has recently ruled that the aggregation of similar related-party transactions is to be allowed in determining arm's length transfer pricing.

Case

The case involved an India taxpayer that sold hot-rolled iron coils to a related party in Indonesia through multiple transactions. In determining the arm's length price, the taxpayer aggregated all the tran…

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