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2021 (6) TMI 1164 - AT - Income TaxTP Adjustment - comparable selection - HELD THAT - Rejection of comparables on application of turnover filter following the ratio laid down in the case of Genisys Integrating 2011 (8) TMI 952 - ITAT BANGALORE Companies functionally dissimilar cannot be used as comparables to determined the ALP of risk mitigated contract service provider like that of assessee before us. Helios Matheson Information Technology Ltd - Application software segment of the said concern is not comparable to the assessee s segment of IT services.
Issues Involved:
1. Assessment of total income. 2. Addition to total income based on arm's length price. 3. Economic analysis and determination of arm's length price. 4. Use of FY 2006-07 data. 5. Use of information obtained under section 133(6). 6. Rejection of comparable companies based on different criteria. 7. Acceptance/rejection of companies based on comparability criteria. 8. Computation of operating profit margin. 9. Adjustments for differences in risk profile. 10. Benefit of +/- 5 percent under section 92C. 11. Levy of interest under sections 234B and 234C. 12. Initiation of penalty proceedings under section 271(1)(c). Detailed Analysis: 1. Assessment of Total Income: The AO assessed the total income at Rs. 1,44,71,721 against the returned income of Rs. 29,240, citing discrepancies in the arm's length price for software development services provided to associated enterprises. 2. Addition to Total Income Based on Arm's Length Price: The AO/TPO and DRP made an addition of Rs. 1,31,78,142 to the total income, asserting that the price charged was lower than the arm's length price determined for the software development services transaction. 3. Economic Analysis and Determination of Arm's Length Price: The AO/TPO and DRP rejected the economic analysis undertaken by the assessee and conducted a fresh analysis, determining the arm's length price using different comparables and criteria. The assessee's selected 28 comparables with an average margin of 14.53% were rejected, and a new set of 26 comparables with an average margin of 25.14% was used. 4. Use of FY 2006-07 Data: The AO/TPO and DRP used only FY 2006-07 data to determine the arm's length price, which was not available to the assessee at the time of complying with the transfer pricing documentation requirements. 5. Use of Information Obtained Under Section 133(6): The AO/TPO and DRP exercised powers under section 133(6) to obtain information not available in the public domain and relied on it for comparability purposes. 6. Rejection of Comparable Companies Based on Different Criteria: The AO/TPO and DRP rejected certain comparable companies identified by the assessee using different quantitative and qualitative filters, such as companies with different accounting years, employee cost criteria, and export earnings criteria. a) Different Accounting Year: The AO/TPO and DRP rejected companies having an accounting year other than March 31 or financial statements for a period other than 12 months. b) Employee Cost Criterion: Companies with employee costs greater than 25% of total revenues were rejected. c) Export Earnings Criterion: Companies with export earnings greater than 75% of sales were rejected. d) Turnover Filter: The AO/TPO applied only the lower cap on the turnover filter of Rs. 1 crore and not any upper cap. The Tribunal upheld the exclusion of comparables with turnover exceeding Rs. 200 crores, including Flextronics Software Systems Ltd., Infosys Technologies Ltd., Tata Elxsi Ltd., Wipro Ltd., Persistent Systems Ltd., Sasken Communications Technologies Ltd., iGate Global Solutions Ltd., and Mindtree Ltd. 7. Acceptance/Rejection of Companies Based on Comparability Criteria: The AO/TPO and DRP accepted/rejected companies based on unreasonable comparability criteria. The Tribunal directed the exclusion of several companies based on functional dissimilarities, including Accel Transmatic Ltd., Avani Cimcon Technologies Ltd., Celestial Labs Ltd., e-Zest Solutions Ltd., Ishir Infotech Ltd., KALS Information Systems Ltd., Lucid Software Ltd., Thirdware Solutions Ltd., and Helios & Matheson Information Technology Ltd. 8. Computation of Operating Profit Margin: The AO/TPO and DRP erred in computing the operating profit margin of the comparable companies identified in the TPO order. 9. Adjustments for Differences in Risk Profile: The AO/TPO and DRP did not make suitable adjustments for differences in the risk profile of the assessee vis-à-vis the comparables. 10. Benefit of +/- 5 Percent Under Section 92C: The AO/TPO and DRP erred in computing the arm's length price without giving the benefit of +/- 5 percent under the proviso to section 92C. 11. Levy of Interest Under Sections 234B and 234C: The AO levied interest of Rs. 68,60,778 under section 234B and Rs. 2,45,722 under section 234C. 12. Initiation of Penalty Proceedings Under Section 271(1)(c): The AO initiated penalty proceedings under section 271(1)(c). Conclusion: The Tribunal allowed the appeal partly, directing the exclusion of certain comparables based on turnover and functional dissimilarities. The Tribunal upheld the exclusion of companies with turnover exceeding Rs. 200 crores and those not functionally comparable to the assessee's software development services. The Tribunal's decision was based on previous rulings and functional analysis, ensuring that only appropriate comparables were used to determine the arm's length price. The appeal was thus partly allowed, with specific grounds being addressed comprehensively.
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