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2023 (1) TMI 1207 - AT - Income Tax


Issues Involved:
1. Assessment of total income.
2. Taxability of Technology and Strategic Information Systems (TSIS) fees as royalty.
3. Taxability of Management Service Fees as royalty or Fees for Technical Services (FTS).
4. Computation of gross tax.
5. Short grant of credit for Tax Deducted at Source (TDS).
6. Levy of interest under section 234A of the Income Tax Act.
7. Levy of interest under section 234B of the Income Tax Act.

Detailed Analysis:

1. Assessment of Total Income:
The assessee challenged the assessment of total income for the years under consideration, arguing that the Assessing Officer (AO) erred in assessing income significantly higher than the returned income. The Tribunal noted this as a general ground and did not require separate adjudication beyond addressing specific issues raised.

2. Taxability of TSIS Fees as Royalty:
The AO considered TSIS charges taxable as royalty under both the Income Tax Act and the India-France Double Taxation Avoidance Agreement (DTAA). The Dispute Resolution Panel (DRP) upheld this view, citing similar cases within the assessee's group. However, the Tribunal referenced a coordinate bench decision in a similar case involving the assessee's group concern, Edenred PTE Ltd, where such fees were not considered royalty. The Tribunal concluded that the TSIS Service Fees should not be taxed as royalty, directing the AO to delete the addition.

3. Taxability of Management Service Fees:
The AO initially treated Management Service Fees as Fees for Technical Services (FTS). The DRP later categorized these fees as royalty. The Tribunal examined the nature of services provided under the Management Services Agreement, which included general management services without the transfer of any proprietary rights or confidential information. The Tribunal found that these services did not constitute royalty under the India-France DTAA. For the year 2015-16, the Tribunal also addressed the applicability of the Most Favoured Nation (MFN) clause in the Protocol to the India-France DTAA, allowing the assessee to benefit from the restrictive definition of FTS under the India-USA DTAA. The Tribunal concluded that the Management Service Fees were not taxable as royalty or FTS, directing the AO to delete the addition.

4. Computation of Gross Tax:
The assessee contested the computation of gross tax, claiming discrepancies. The Tribunal did not provide a separate adjudication on this issue, considering it general in nature and addressed through the resolution of other specific grounds.

5. Short Grant of TDS Credit:
The assessee claimed a short grant of TDS credit. The Tribunal restored this issue to the AO for verification and correction in accordance with the law.

6. Levy of Interest under Section 234A:
The assessee contested the levy of interest under section 234A, arguing that the return was filed within the prescribed time. The Tribunal remanded this issue to the AO for verification and de novo adjudication.

7. Levy of Interest under Section 234B:
The assessee argued against the levy of interest under section 234B, referencing the Supreme Court decision in DIT v. Mitsubishi Corporation, which exempts non-residents from such interest if their revenues are subject to tax withholding in India. The Tribunal allowed this ground in favor of the assessee.

Conclusion:
The Tribunal allowed the appeals for statistical purposes, directing the AO to reassess the issues based on the Tribunal's findings, particularly regarding the non-taxability of TSIS and Management Service Fees as royalty or FTS, and to correct the TDS credit and interest levies accordingly.

 

 

 

 

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