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2024 (2) TMI 1377 - AT - Income Tax


Issues Involved:
1. Transfer Pricing Adjustment for Payment of License Fees for Time and Billing Software.
2. Transfer Pricing Adjustment for Provision of Regional Coordination Services.
3. Transfer Pricing Adjustment for Payment of Information Technology Cost Allocation.
4. Short-granting of TDS Credit.
5. Short-granting of Interest under Section 244A.
6. Charging of Interest under Section 234D.
7. Initiation of Penalty Proceedings under Section 271(1)(c).

Summary:

Issue 1: Transfer Pricing Adjustment for Payment of License Fees for Time and Billing Software

The assessee, a global management consulting firm, paid Rs. 2,64,23,881 to its associated enterprise (AE) for using a time and billing software. The Transfer Pricing Officer (TPO) rejected the assessee's benchmarking analysis and determined the arm's length price (ALP) as NIL, without following any prescribed methods under Section 92C of the Income-tax Act. The Dispute Resolution Panel (DRP) upheld the TPO's adjustments. The Tribunal, following precedents, ruled in favor of the assessee, noting that the TPO did not follow any prescribed methods, thus allowing the appeal on this ground.

Issue 2: Transfer Pricing Adjustment for Provision of Regional Coordination Services

The assessee provided regional coordination services and followed the Transaction Net Margin Method (TNMM) to substantiate the ALP. The TPO rejected some comparables and made adjustments. The DRP did not consider additional submissions by the assessee. The Tribunal remitted this issue back to the TPO for fresh analysis, directing the TPO to consider the additional submissions and documents provided by the assessee.

Issue 3: Transfer Pricing Adjustment for Payment of Information Technology Cost Allocation

The assessee paid Rs. 4,25,00,327 to BCG USA for IT cost allocation. The TPO rejected the assessee's benchmarking analysis and determined the ALP as NIL. The DRP upheld the TPO's adjustments. The Tribunal, following precedents, ruled in favor of the assessee, noting that the TPO did not follow any prescribed methods, thus allowing the appeal on this ground.

Issue 4: Short-granting of TDS Credit

The assessee did not press this ground during the hearing, and hence, it was dismissed.

Issue 5: Short-granting of Interest under Section 244A

The Tribunal directed the Assessing Officer to consider extending the benefit to the assessee up to the date of actual receipt of the refund, following the precedent set by the coordinate bench in a similar case.

Issue 6: Charging of Interest under Section 234D

The assessee did not press this ground during the hearing, and hence, it was dismissed.

Issue 7: Initiation of Penalty Proceedings under Section 271(1)(c)

The Tribunal found this ground to be premature and dismissed it without specific adjudication.

Conclusion:
The appeal was partly allowed, with the Tribunal ruling in favor of the assessee on key transfer pricing issues and directing the Assessing Officer to reconsider the interest under Section 244A. Other grounds were either dismissed or remitted back for fresh consideration.

 

 

 

 

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