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Intercontinental Hotels Group (India) Pvt.Ltd., 11th Floor, Building 10, Tower-C, DLF Cyber City, Phase-II, Gurgaon Vs. The DCIT, Circle-II, Gurgaon
October, 15th 2020

The present appeal filed by assessee is against order of CIT(A)-1, Gurgaon dated 29.03.2016 relating to assessment year 2010-11 against the order passed under section 143(3) r.w.s 144C of the Income-tax Act, 1961 (in short ‘the Act’).

The assessee has raised following grounds of appeal:- 1.

“On the facts and circumstances of the case and in law, the Hon'ble Commissioner of Income Tax (Appeals) - 1 ("Hon'ble CIT(A)") has erred in confirming the addition to the extent of INR 1,30,45,059 to the taxable income of the Appellant on account of adjustment to the Arm's Length Price ('ALP') of the Appellant's international transaction of provision of ancillary management support services with its Associated Enterprises ("AEs").

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