Authorities that bear on section Rule 10D. Each one tells you what it decided and what to do if it applies to you.
What the courts have decided on section Rule 10D, in one screen. Read this first; open an entry when you need the facts, the reasoning and the source.
Listed strongest first: Supreme Court, then High Court, then Tribunal, then CBDT. Nothing here has yet been read in full by a chartered accountant — open an entry to see where it came from.
The TPO wants segment-wise profit and loss accounts for my AE and non-AE business and I cannot produce them. He has levied 2 per cent of the transaction value under s.271G. Can I resist it?
The AO has levied a s.271AA penalty saying I did not maintain transfer pricing documentation, without saying which documents. Does that penalty stand?
The TPO accepted my pricing but the AO has still levied a s.271AA penalty. On what, and what can I say against it?
The officer says my counterparty is an associated enterprise. What does s.92A actually require, and is control in substance enough?