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Issues Involved:
The judgment involves issues related to transfer pricing methods, adoption of Cost Plus Method (CPM) vs. Transaction Net Margin Method (TNMM), comparables analysis, application of Profit Level Indicator (PLI), interest levy u/s 234B, and endorsement of actions by Dispute Resolution Panel (DRP). Transfer Pricing Methods - CPM vs. TNMM: The assessee challenged the rejection of CPM and adoption of TNMM by the Transfer Pricing Officer (TPO) for determining the Arm's Length Price (ALP) of international transactions. The TPO selected comparables from different databases and determined the ALP resulting in an upward transfer pricing adjustment. The co-ordinate bench held that CPM was the most appropriate method and directed the Assessing Officer/TPO to compute the ALP accordingly for the impugned assessment year. Application of Profit Level Indicator (PLI): The assessee contested the application of PLI on the total operating cost instead of on the cost relating to international transactions with the Associated Enterprise (AE). The co-ordinate bench directed the Assessing Officer to restrict the adjustment only to the internal transaction while determining the ALP, in line with previous decisions. Interest Levy u/s 234B and DRP Endorsement: The levy of interest u/s 234B was challenged by the assessee, but as it is dependent on the final determination of income, it was not adjudicated at that stage. The endorsement of actions by the Dispute Resolution Panel (DRP) was also addressed in the judgment. This summary provides a detailed overview of the issues involved in the legal judgment, including the challenges faced by the assessee regarding transfer pricing methods, application of PLI, interest levy, and DRP endorsement. The judgment highlighted the importance of selecting the most appropriate method for determining the Arm's Length Price and ensuring adjustments are made only to international transactions.
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