✔️ Can the High Court look into the selection of comparables, most appropriate method, filters, etc.? ✔️ Is the arm's length price (ALP) determined by ITAT final and cannot be looked into by the High Court? ✔️ Can an assessee switch over to a new, most appropriate method, different from the one taken in the TP Study? ✔️ Can advance pricing agreements executed for earlier years form the basis for determining the ALP? ✔️ Can Section 144C be applied prospectively or retrospectively? ✔️ Whether money lent by way of preference shares could attract TP provisions?