Skip to content
Transfer Price Tax
Transfer Pricing tax
Home
Tp Rules
Rule 10A
Rule 10AB
Rule 10B
Rule 10C
Rule 10D
Rule 10E
Rule 10F
Rule 10G
Rule 10H
Rule 10I
Rule 10J
Rule 10K
Rule 10L APA Procedure
Rule 10M Terms of the agreement
Rule 10MA Roll Back of the Agreement.
Rule 10N Amendments to APA Application .
Rule 10-O Furnishing of Annual Compliance Report
Rule 10P Compliance Audit of the agreement
Rule 10Q Revision of an APA
Rule 10R Cancellation of an APA
Rule 10RA Procedure for giving effect to rollback provision of an APA
Rule 10R Cancellation of an APA
Rule 10S Renewing an APA
Rule 10TA Safe Harbour Rules for International Transactions Definitions.
Rule 10TB Safe Harbor Eligible assessee
Tp Sections
Section 92
Section 92A
Section 92B
Section 92BA
Section 92C
Section 92CA
Section 92CB
Section 92CC
Section 92CD
Section 92D
Section 92E
Section 92F
Latest News
About Us
Ask Us!
All Forms
Rule 10C
Home
  /  
Tp Rules
  /  
Rule 10C
Most appropriate method
Rule 10C
(1)
For the purposes of sub-section(1) of section 92C, the most appropriate method shall be the method which is best suited to the facts and circumstances of each particular international transaction or specified domestic transaction, and which provides the most reliable measure of an arm’s length price in relation to the international transaction or the specified domestic transaction, as the case may be.
(2)
In selecting the most appropriate method as specified in sub-rule (1), the following factors shall be taken into account, namely:—
(a) the nature and class of the international transaction or the specified domestic transaction.
(b) the class or classes of associated enterprises entering into the transaction and the functions performed by them taking into account assets employed or to be employed and risks assumed by such enterprises.
(c) the availability, coverage and reliability of data necessary for application of the method.
(d) the degree of comparability existing between the international transaction 56a[or the specified domestic transaction] and the uncontrolled transaction and between the enterprises entering into such transactions.
(e) the extent to which reliable and accurate adjustments can be made to account for differences, if any, between the international transaction or the specified domestic transaction and the comparable uncontrolled transaction or between the enterprises entering into such transactions.
(f) the nature, extent and reliability of assumptions required to be made in application of a method..
Leave a Reply
Cancel reply
Time limit is exhausted. Please reload CAPTCHA.
×
three
=
fifteen