Ms. Giesecke and Devrient India Pvt. Ltd. v. Deputy Commissioner of Income Tax 2.1 & Ors.
Case brief
What is this about?
The High Court of Delhi allowed the writ petition, setting aside an assessment order where the AO added income for a demerged business without a specific Transfer Pricing Officer determination. The Court held the AO must bound by the TPO's ALP.
What did the court decide?
The impugned order dated 24 April 2021 set aside and the matter remanded to the file of the Assessing Officer with directions to proceed in accordance with law.