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Income Tax

Royalty for technology use should be aggregated with other international transactions in manufacturing segment

Case Law Details

Case Name
Cummins India Limited Vs ACIT (Bombay High Court)
Date of Judgement/Order
Only available for paid members
Related Assessment Year
2015-16
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Cummins India Limited Vs ACIT (Bombay High Court) Bombay High Court held that the transaction of payment of royalty for use of technology is inextricably linked with manufacturing activity and should be aggregated with other international transactions in the manufacturing segment for the purposes of benchmarking the same Facts- Assessee is engaged in the business of manufacture and sale of Internal Combustion Engines, Spares, Components (including Bought-Outs) thereof & Generating Sets, service of Engines & Gensets / Generating Sets & Allied Equipment, etc. Assessee also has a 100%...
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