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2019 (2) TMI 2022 - AT - Income Tax


Issues Involved:
1. Transfer Pricing Adjustment
2. Selection and Rejection of Comparable Companies
3. Adjustment on Account of Overdue Receivables
4. Disallowance of Severance Cost

Detailed Analysis:

Transfer Pricing Adjustment:
The primary issue revolves around the adjustment of ?64,734,446 to the value of international transactions related to software development services under Section 92CA(3) of the Income-Tax Act, 1961. The taxpayer used the Transactional Net Margin Method (TNMM) with Net Operating Profit Margin based on Costs (NCP Margin) as the Profit Level Indicator (PLI). The taxpayer's margin of 15.03% was compared to an average margin of 14.26% from 16 companies. The TPO rejected 7 comparables and added 10 new ones, resulting in an average margin of 24.40%, leading to a proposed adjustment of ?9,76,08,271.

Selection and Rejection of Comparable Companies:
The taxpayer disputed the inclusion and exclusion of several comparables:

1. Persistent Systems Ltd.: Excluded due to non-availability of segmental financials. This exclusion was consistent with earlier decisions.

2. Tata Elxsi Ltd.: Excluded due to functional dissimilarity. Tata Elxsi is involved in diverse business units and owns IP, unlike the taxpayer, which is a captive software development service provider.

3. E-Infochips Bangalore Ltd.: Excluded due to functional dissimilarity and lack of segmental financials. The company is engaged in product and semiconductor engineering services with significant intangible assets.

4. Infinite Data Systems Pvt. Ltd.: Excluded due to functional dissimilarity, high margins, and exceptional growth. The company operates on a Build, Operate, and Transfer model with Fujitsu Services Limited.

5. Zylog Systems Ltd.: Excluded due to diversified operations, substantial brand value, significant AMP expenses, and R&D costs.

Adjustment on Account of Overdue Receivables:
The TPO/AO/DRP made an adjustment of ?2,36,33,050 for overdue receivables from the AE, applying an ad hoc interest rate of 14.88%. The taxpayer argued that interest should be computed as per the agreement (para 5.7), which was followed in previous and subsequent years. The issue was remanded back to the TPO/AO for fresh computation following the rule of consistency.

Disallowance of Severance Cost:
The AO/DRP disallowed severance costs of ?6,67,62,386 incurred during FY 2008-09. The Tribunal remanded the issue back to the AO for fresh adjudication, noting that the exact timing of the severance cost crystallization was unclear. This issue was to be decided in conjunction with AY 2009-10.

Conclusion:
The appeal was allowed for statistical purposes, with key issues remanded back to the AO/TPO for fresh consideration, particularly the computation of interest on overdue receivables and the disallowance of severance costs. The Tribunal's decision emphasized the need for consistency and accurate functional analysis in selecting comparables.

 

 

 

 

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