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(c) cost plus method;
(d) profit split method;
(e) transactional net margin method;
(f) such other method as may be prescribed by the Board.
(2) The most appropriate method referred to in sub-section (1) shall be
applied, for determination of arm's length price, in the manner as may
be prescribed:
Provided that where more than one price is determined by the most
appropriate method, the arm's length price shall be taken to be the
arithmetical mean of such prices:
Provided further that if the variation between the arm's length price
so determined and price at which the international transaction has
actually been undertaken does not exceed five per cent of the latter, the
price at which the international transaction has actually been
undertaken shall be deemed to be the arm's length price.