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2021 (5) TMI 254 - AT - Income Tax


Issues Involved:
1. Determination of the quantum of profit eligible for deduction under Section 80IA of the Income Tax Act, 1961.
2. Determination of the appropriate rate for transferring electricity from the Captive Power Plant (CPP) to the manufacturing unit.
3. Application of the Comparable Uncontrolled Price (CUP) Method for determining the Arm's Length Price (ALP).
4. Distinction between market value and ALP.

Detailed Analysis:

1. Determination of the Quantum of Profit Eligible for Deduction under Section 80IA:
The core issue in this case is the determination of the quantum of profit which could be claimed as a deduction under Section 80IA of the Income Tax Act, 1961. The assessee company claimed a deduction amounting to ?2,43,24,28,803/- for the generation and distribution of power. The Assessing Officer (AO) reduced this deduction to ?2,02,41,83,489/- by adjusting the rate at which electricity was transferred internally within the company.

2. Determination of the Appropriate Rate for Transferring Electricity:
The assessee company used a rate of ?8.30 per Kwh for transferring electricity from its Captive Power Plant (CPP) to its manufacturing units, based on tariff orders issued by the Uttar Pradesh Electricity Regulatory Commission. The Transfer Pricing Officer (TPO), however, considered a rate of ?4.90 per Kwh, which was the average rate at which the generating companies could sell electricity to distribution licensees.

3. Application of the Comparable Uncontrolled Price (CUP) Method:
The TPO adopted the CUP method to determine the ALP for the transfer of electricity. The TPO relied on the judgment of the Hon’ble Calcutta High Court in CIT Vs ITC Limited, which suggested using the rate at which electricity is sold under Power Purchase Agreements (PPA) as the ALP. The AO and TPO argued that the rate used by the assessee was excessive and did not represent the fair market value or ALP of the power supplied by the CPP.

4. Distinction Between Market Value and ALP:
The CIT(A) and the Tribunal highlighted the distinction between market value and ALP. The Explanation to Section 80IA(8) allows for the determination of market value either as the price that goods or services would ordinarily fetch in the open market or the ALP as defined in Section 92F(ii). The CIT(A) and the Tribunal agreed with the assessee's contention that the rate of ?8.30 per Kwh, based on the tariff order issued by the SEB, was a fair and reasonable market value.

Judgment Analysis:
- The CIT(A) held that the rate of ?8.30 per Kwh adopted by the assessee was justified and based on the tariff order issued by the SEB for similar transactions under uncontrolled conditions.
- The Tribunal upheld the CIT(A)'s decision, stating that the internal CUP method used by the assessee, which considered the rate at which the non-eligible units procured power from the SEB, was appropriate and reasonable.
- The Tribunal distinguished the case from the ITC Ltd. judgment, noting that the assessee in this case had the right to sell power in the open market, unlike ITC Ltd.
- The Tribunal also referenced several other judgments, including those from the Hon’ble Gujarat High Court and Hon’ble Chhattisgarh High Court, which supported the use of the SEB rate as the market value for the purposes of Section 80IA.

Conclusion:
The Tribunal dismissed the Revenue's appeal and upheld the CIT(A)'s decision, allowing the assessee's claimed deduction under Section 80IA based on the transfer price of ?8.30 per Kwh. The judgment emphasized the appropriateness of using the SEB rate as a fair indicator of market value for internal transfers of electricity within the company.

 

 

 

 

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