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Indian Tax Tribunal Rules that The Aggregation of Closely Linked Transactions for Transfer Pricing Purposes to be Allowed

|Approved Changes|India
India

In a recently published ruling, India's Pune Income Tax Appellate Tribunal held that related party transactions may be aggregated in certain cases when the transactions are closely linked. The case involved an indirect subsidiary of a U.S. engine company which performs various activities in India including after-sales service and spare part sales. In the tax year at issue, the subsidiary had se…

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