Transfer PricingArticle·13 June 2026
TP Comparables Revisited
By J the App
Executive Summary
The Delhi ITAT partly allowed Honda R & D (India) Pvt. Ltd.’s appeal, holding that some transfer pricing comparables used by the Revenue were unsuitable and certain excluded companies should be included
It also directed reconsideration of software depreciation and international travel expense disallowances in line with earlier years, granting significant relief on transfer pricing and tax matters.
Domain : Direct Tax | TP
Case Snapshot
In Honda R & D ...
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