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Showing contexts for: Profit Split Method in The Himalaya Drug Company , Bangalore vs The Deputy Commissioner Of Income Tax ... on 7 December, 2020Matching Fragments
(a) Comparable Uncontrolled Price Method;
(b) Resale Price Method;
(c) Cost Plus Method;
(d) Profit Split Method;
(e) Transactional Net Margin Method;
(f) Such other method as may be prescribed by the Board.
IT(TP)A No.3071/Bang/2018 The Himalaya Drug Company, Bangalore Sub-section 2 of Section 92C of the Act provides that the MAM referred to in sub-section (1) shall be applied, for determination of the ALP, in the manner as may be prescribed. Rule 10B of the IT Rules, 1962 provides for the determination of ALP under Section 92C of the Act. The TPO in the case on hand has applied CPM as the MAM. Rule 10B(1)(c) deals with the determination of ALP as per CPM and the same is extracted hereunder :--