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Commerce · Q59

Income Tax and Corporate Tax

Graduate and Post Graduate · Commerce · question 59

Q59

The following methods as per section 92C are used in determination of arm's length prices from international transactions and specified domestic transaction except:

A.
Comparable uncontrolled price method
B.
Resale price method
C.
Cost method
Answer
D.
Transactional net margin method

Answer: Option C

Solution

Answer: Option C
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