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Section 92C in The Income Tax Act, 1961 [Entire Act]

transaction shall be determined by any of the following methods, being the most appropriate method, having regard to the nature of transaction or class ... prescribe, namely:- (a) comparable uncontrolled price method; (b) resale price method; (c) cost plus method; (d) profit split method; (e) transactional net margin method
Union of India - Section Cites 0 - Cited by 1457

Section 10B in Income Tax Rules, 1962 [Entire Act]

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 ... profit is then split amongst the enterprises in proportion to their relative contributions, as evaluated under sub-clause (ii); (iv) the profit thus apportioned
Union of India - Section Cites 0 - Cited by 5
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