Dismissing the appeal of the assessee the Court held that ; Assessee not disputed that transaction is international transaction however disputed only on notional addition on the ground that only real income be taxed. Therefore, interest income earned on such loans and advances has to be reworked to determine Arms Length Price. (AY. 2009-10)
Tooltech Global Engineering (P.) Ltd. v. ACIT (2018) 254 Taxman 241 (Bom.)(HC)
S. 92B : Transfer pricing – International transaction- Interest income on loans and advances- Assessee not disputed that transaction is international transaction however disputed only on notional addition on the ground that only real income be taxed .[ S.92C ]