The Pr Commissioner of Income Tax Faridabad v. Willis Towers Waston India Private Limited
Case brief
What is this about?
Income-tax transfer-pricing appeal by the Revenue challenging the Tribunal's upholding of the assessee's CUP method for AY 2018-19 in favour of the AO's TNMM. Noting the same method was consistently accepted for earlier years of the same assessee, the High Court found no occasion for the TPO to adopt a new method, held no substantial question of law arose, and dismissed the appeal.
What did the court decide?
Appeal dismissed; pending miscellaneous applications disposed of.