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2022 (9) TMI 449 - AT - Income Tax


Issues Involved:
1. Transfer Pricing Adjustment for Software Development Services.
2. Transfer Pricing Adjustment for Interest on Delayed Receivables.
3. Application of Turnover Filters.
4. Inclusion and Exclusion of Comparable Companies.
5. Working Capital Adjustment.
6. Computation of Operating Margins.
7. Notional Interest on Outstanding Receivables.
8. Inconsistent Treatment of Foreign Exchange Gain/Loss.

Detailed Analysis:

1. Transfer Pricing Adjustment for Software Development Services:
The TPO proposed a TP adjustment of INR 4,27,00,084 for software development services. The DRP accepted the assessee's contention that adjustments should be made only on the SWD segment operating revenue, reducing the adjustment to INR 3,93,70,344.

2. Transfer Pricing Adjustment for Interest on Delayed Receivables:
The TPO re-characterized trade receivables as loans to AEs, imputing interest at 6-month LIBOR plus 450 bps, resulting in an adjustment of INR 31,98,111. The DRP directed the TPO to use the SBI short-term deposit interest rate, reducing the adjustment to INR 7,68,976.

3. Application of Turnover Filters:
The assessee sought the application of an upper turnover filter to exclude seven companies. The Tribunal directed the AO/TPO to apply an appropriate upper turnover filter and exclude companies with turnover above INR 200 crores, following the precedent set by BORQS Software Solutions Pvt. Ltd. v. ITO.

4. Inclusion and Exclusion of Comparable Companies:
The assessee requested the inclusion of Sagarsoft (India) Limited and Evoke Technologies Limited as comparables. The Tribunal directed the AO/TPO to re-examine the compatibility of these companies, allowing the grounds for statistical purposes.

5. Working Capital Adjustment:
The Tribunal referenced the decision in M/s.Huawei Technologies India (P) Ltd. v. JCIT, directing the AO/TPO to consider working capital adjustments as per actuals and allow appropriate adjustments in arriving at an arm's length price.

6. Computation of Operating Margins:
The assessee claimed errors in the computation of operating margins due to arithmetical inaccuracies. The Tribunal remanded the matter back to the AO/TPO to examine the claims and adjudicate each item of expenses/income for accurate computation.

7. Notional Interest on Outstanding Receivables:
The Tribunal noted the need to consider receivables as an international transaction under section 92B of the I.T. Act. The AO/TPO was directed to examine the factual aspects, including the debtors' holding period of comparables vis-à-vis the assessee. If the holding period of comparables is higher, no TP adjustment is required.

8. Inconsistent Treatment of Foreign Exchange Gain/Loss:
The assessee raised an additional ground regarding the inconsistent treatment of foreign exchange gains/losses. The Tribunal admitted the additional ground, directing the AO/TPO to verify the issue afresh to ensure consistency in computing operating margins.

Conclusion:
The appeal was partly allowed, with several grounds being remanded for re-examination and statistical purposes. The Tribunal emphasized the need for consistency and accurate adjustments in transfer pricing assessments.

 

 

 

 

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