Follow Us:

Case Law Details

Case Name : United Spirits Limited Vs DCIT (Karnataka High Court)
Related Assessment Year :
Become a Premium member to Download. If you are already a Premium member, Login here to access.
United Spirits Limited Vs DCIT (Karnataka High Court) United Spirits Limited, had filed returns for Assessment Years 2013–14 and 2014–15 and was subjected to transfer pricing (TP) adjustments under Section 92CA of the Income-tax Act due to its international transactions. Draft assessment orders and final assessment orders were passed after directions from the Dispute Resolution Panel, resulting in substantial additions to income. The assessee challenged these orders before the Income Tax Appellate Tribunal (ITAT), which partly allowed the appeals and remitted certain issues to the authorit...
This is premium content. Please become a Premium member. If you are already a member, login here to access the full content.

Author Bio

I am Delhi Delhi-based advocate specializing in tax litigation and advisory, especially to corporates. I represent taxpayers at all tax tribunals and High Courts. we also undertake advisory in Mergers and Acquisitions matters. My contact details are vgrmc2018@gmail.com. 9811728992. View Full Profile

My Published Posts

Companies with significantly higher turnover are not comparable: ITAT Bangalore ITAT Visakhapatnam Quashes Reassessment as Section 148 Notice Time-Barred Assessment on Non-Existent Entity Held Void; ITBA Glitch Not a Valid Defense: Delhi HC: No Section 270A(8) Penalty for TP Adjustment Without Proof of Deliberate Concealment: Madras HC Corporate Restructuring Not a Sufficient Cause for 802-Day Delay u/s 253(3): ITAT Panaji View More Published Posts

Join Taxguru’s Network for Latest updates on Income Tax, GST, Company Law, Corporate Laws and other related subjects.

Leave a Comment

Your email address will not be published. Required fields are marked *

Ads Free tax News and Updates
Search Post by Date
April 2026
M T W T F S S
 12345
6789101112
13141516171819
20212223242526
27282930