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Home Case Index All Cases Income Tax Income Tax + AT Income Tax - 2010 (11) TMI AT This

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2010 (11) TMI 730 - AT - Income Tax


  1. 2018 (7) TMI 2076 - HC
  2. 2024 (9) TMI 355 - AT
  3. 2023 (10) TMI 300 - AT
  4. 2023 (7) TMI 1318 - AT
  5. 2023 (3) TMI 468 - AT
  6. 2022 (12) TMI 542 - AT
  7. 2023 (5) TMI 350 - AT
  8. 2022 (11) TMI 1498 - AT
  9. 2022 (5) TMI 1524 - AT
  10. 2022 (4) TMI 1408 - AT
  11. 2020 (11) TMI 476 - AT
  12. 2020 (6) TMI 135 - AT
  13. 2019 (8) TMI 1862 - AT
  14. 2019 (7) TMI 1899 - AT
  15. 2019 (6) TMI 1627 - AT
  16. 2019 (5) TMI 678 - AT
  17. 2019 (4) TMI 1286 - AT
  18. 2018 (12) TMI 1209 - AT
  19. 2018 (10) TMI 1504 - AT
  20. 2018 (10) TMI 51 - AT
  21. 2018 (8) TMI 1192 - AT
  22. 2018 (8) TMI 378 - AT
  23. 2018 (2) TMI 1210 - AT
  24. 2017 (12) TMI 1860 - AT
  25. 2017 (12) TMI 1774 - AT
  26. 2017 (11) TMI 1881 - AT
  27. 2017 (11) TMI 1743 - AT
  28. 2017 (9) TMI 1620 - AT
  29. 2017 (5) TMI 1615 - AT
  30. 2017 (5) TMI 1621 - AT
  31. 2017 (5) TMI 1639 - AT
  32. 2017 (3) TMI 1806 - AT
  33. 2016 (12) TMI 1589 - AT
  34. 2016 (10) TMI 807 - AT
  35. 2016 (7) TMI 760 - AT
  36. 2016 (5) TMI 1595 - AT
  37. 2016 (5) TMI 1284 - AT
  38. 2015 (9) TMI 610 - AT
  39. 2015 (8) TMI 981 - AT
  40. 2014 (12) TMI 437 - AT
  41. 2014 (12) TMI 349 - AT
  42. 2015 (1) TMI 921 - AT
  43. 2014 (11) TMI 1188 - AT
  44. 2014 (12) TMI 802 - AT
  45. 2014 (10) TMI 651 - AT
  46. 2014 (9) TMI 1221 - AT
  47. 2014 (10) TMI 355 - AT
  48. 2014 (6) TMI 317 - AT
  49. 2014 (11) TMI 132 - AT
  50. 2014 (5) TMI 924 - AT
  51. 2014 (9) TMI 265 - AT
  52. 2014 (5) TMI 734 - AT
  53. 2014 (2) TMI 367 - AT
  54. 2014 (2) TMI 894 - AT
  55. 2013 (10) TMI 1454 - AT
  56. 2013 (8) TMI 926 - AT
  57. 2013 (8) TMI 669 - AT
  58. 2013 (6) TMI 591 - AT
  59. 2013 (5) TMI 852 - AT
  60. 2013 (1) TMI 794 - AT
  61. 2014 (6) TMI 595 - AT
  62. 2013 (12) TMI 243 - AT
  63. 2012 (12) TMI 71 - AT
  64. 2013 (1) TMI 86 - AT
  65. 2012 (11) TMI 1128 - AT
  66. 2012 (6) TMI 572 - AT
  67. 2012 (5) TMI 206 - AT
  68. 2012 (5) TMI 153 - AT
  69. 2012 (2) TMI 172 - AT
  70. 2012 (1) TMI 60 - AT
  71. 2012 (5) TMI 414 - AT
  72. 2011 (8) TMI 952 - AT
Issues Involved:
1. Addition on account of difference in "average net operating margin" using TNMM for determining ALP.
2. Adjustment on total sales including non-international transactions under Section 92B of the IT Act.
3. Determination of royalty and technical know-how payments as nil.
4. Appropriateness of TNMM versus cost-plus method for determining ALP.
5. Consistency of transfer pricing assessments across different assessment years.

Detailed Analysis:

1. Addition on account of difference in "average net operating margin" using TNMM for determining ALP:

The Assessing Officer (AO) referred the case to the Transfer Pricing Officer (TPO) for determining the Arm's Length Price (ALP) under Section 92CA(1) of the IT Act, 1961. The TPO adopted the Transactional Net Margin Method (TNMM) and selected six comparable companies to calculate an average net operating margin of 9.21%. The TPO made an adjustment of Rs. 3,18,89,975 due to the difference between this margin and the assessee's margin of 4.56%. The CIT(A) further enhanced the adjustment to Rs. 4,24,11,209 by updating the operating margin to 10.74%.

2. Adjustment on total sales including non-international transactions under Section 92B of the IT Act:

The assessee argued that adjustments should only apply to international transactions and not to the total sales, as Section 92 is applicable only to international transactions. The Tribunal accepted this argument, noting that only international transactions should be considered for ALP adjustments. The Tribunal cited various judgments supporting this view and directed that the base for adjustments should be the sales to domestic parties using Takata technology and raw material, amounting to Rs. 12.74 crores.

3. Determination of royalty and technical know-how payments as nil:

The TPO determined the ALP for royalty and technical know-how payments as nil, arguing that no transfer of technology or know-how had taken place and that these costs were bundled in the price of materials. The Tribunal disagreed, noting that the agreements were genuine, duly executed, and approved by regulatory authorities. The Tribunal emphasized that commercial transactions should not be disregarded without cogent reasons and that the TPO's findings were incorrect.

4. Appropriateness of TNMM versus cost-plus method for determining ALP:

The assessee contended that the cost-plus method was more appropriate for determining the ALP. However, the CIT(A) and TPO considered TNMM as the most appropriate method. The Tribunal noted that the internal comparable method showed higher margins for AE transactions compared to non-AE transactions, indicating that the international transactions were at arm's length. The Tribunal found that the TNMM was appropriately applied but adjusted the margin to account for the safe harbor rule of +/-5%, concluding that no adjustments were necessary.

5. Consistency of transfer pricing assessments across different assessment years:

The assessee argued that no adjustments were made in subsequent years (AY 2005-06 and AY 2006-07) under similar circumstances. The Tribunal took note of this consistency and found it relevant in supporting the assessee's case. The Tribunal emphasized that legally binding agreements should not be disregarded and that the business expediency should be respected.

Conclusion:

The Tribunal concluded that the addition of Rs. 4,24,11,209 made by the CIT(A) should be deleted. The Tribunal directed the AO to delete this addition, emphasizing that the transactions were at arm's length and no adjustments were required. The appeal was allowed in favor of the assessee.

 

 

 

 

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