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(iv) the costs referred to in sub-clause (i) are increased by the
adjusted profit mark-up arrived at under subclause (iii);
(v) the sum so arrived at is taken to be an arm's length price in
relation to the supply of the property or provision of services by
the enterprise;
(d) profit split method, which may be applicable mainly in
international transactions or specified domestic transactions
involving transfer of unique intangibles or in multiple
international transactions or specified domestic transactions
which are so interrelated that they cannot be evaluated
separately for the purpose of determining the arm's length price
of any one transaction, by which--