Principal Commissioner Of Income Tax vs M/S. Merck Ltd.
In this landmark transfer pricing and expenditure allowance judgment, the Bombay High Court comprehensively dismissed the Revenue’s appeal, reinforcing key principles: (1) Transfer pricing adjustments must account for qualitative differences under Rule 10B; (2) Retainer-based service agreements have value even if services aren’t fully utilized; (3) Share buyback expenses are revenue expenditures when they don’t create enduring assets; (4) Business expenditure under Section 37 requires only ‘wholly and exclusively’ purpose, not demonstrated benefit. The decision strengthens taxpayer positions on ALP methodologies and expenditure deductibility while curtailing Revenue’s attempts to revisit factual determinations.
Principal Commissioner Of Income Tax vs M/S. Merck Ltd. View Full Article »
