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7. In so far as the actual rendering of the service
is concerned the Transfer Pricing Officer in his order
dated 15/10/2009 in respect of the assessment
year 2006-07 categorically recorded that the
assessee has provided these services to the parent
company. Further vide paragraph no. 5.8 the Ld.
CIT (A) observed that the assessee drew his
attention to the summary of invoices and copy of the
SOFTEX forms submitted to the STPI Authorities
along with a copy of invoices raised during FY 2005-
06 and these documents were also submitted
during the course of assessment proceedings before
the AO vide its submission dated December 29,
2009.