CA Piyush Bafna has conducted a systematic and thorough analysis of the newly introduced section 92CE of the Income-tax Act. The author has explained the circumstances in which the TPO is entitled to make secondary adjustment for the difference between the ALP price and actual price of an international transaction. He has also raised issues which are not answered with clarity in the provision and which may lead to controversy between the taxpayer and the department
Introduction –
The Finance Act, 2017 has introduced a new section ‘92CE – Secondary adjustments in certain cases’ w.e.f. 01-04-2018. Prior to insertion of this section, Department did try to make secondary adjustments for difference between the ALP price and actual price of international transaction. Few examples are. Vodafone’s/Shell companies cases, few AMP cases etc.