Which of the following methods have been prescribed by the Central Board of Direct Taxes (CBDT) for computation of Arm's Length Price required to compute income arising from an International transaction under Chapter X of the Income-tax Act, 1961?
A. Transactional Net Margin Method
B. Uncomparable Controlled Price Method
C. Profit Split Method
D. Resale Price Method
E. Cost Minus Method
Choose the correct answer from the options given below:
1
B, D & E Only
2
A, B & D Only
3
C, D & E Only
4
A, C & D Only