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2024 (8) TMI 1358 - AT - Income Tax


Issues Involved:
1. Stay of demand for AY 2021-22.
2. Determination of Permanent Establishment (PE) in India.
3. Attribution of profits to the alleged PE.
4. Taxability of interest on income-tax refund.

Issue-wise Detailed Analysis:

1. Stay of Demand for AY 2021-22:
The Stay Application was filed for the stay of demand for AY 2021-22. During the arguments, it was submitted by the appellant's representative that the issues in the appeal were fully covered in favor of the appellant by the Tribunal's orders for AY 2010-11 to 2015-16, where the additions were deleted. The respondent could not dispute this and did not cite any distinction of facts. Thus, with the consent of the representatives, the Tribunal decided to address the appeal on merits instead of restricting to the stay application alone.

2. Determination of Permanent Establishment (PE) in India:
The appellant, Adobe Systems Software Ireland Limited (ADIR), claimed that it is a tax resident of Ireland and entitled to the beneficial provisions of the India-Ireland DTAA. The appellant argued that Adobe Systems India Private Limited (Adobe India) does not constitute a PE in India as it does not enter into contracts, negotiate, accept orders, or hold stock on behalf of the appellant. However, the Assistant Commissioner of Income-tax (Ld. AO) alleged that the appellant has a dependent agent PE in India in the form of Adobe India and attributed 35% of revenue earned by the appellant from India to its PE in India. The Dispute Resolution Panel (DRP) affirmed the allegation that Adobe India constitutes the appellant's PE in India, presuming that Adobe India habitually and regularly concludes contracts and secures orders for the appellant.

3. Attribution of Profits to the Alleged PE:
The Tribunal referred to its previous orders for AY 2010-11 to 2015-16, where it was held that no addition had been proposed by the Transfer Pricing Officer (TPO) in the case of Adobe India with respect to marketing support services. The Tribunal cited the Hon'ble Supreme Court's decisions in Morgan Stanley and E-Funds, which established that once a transfer pricing analysis has been undertaken and transactions are found to be at Arm's Length Price (ALP), no further attribution of profits to the alleged PE is required. The Tribunal found that the Revenue's contention that Adobe India performs functions wider than those in the agreement and transfer pricing analysis was not cogent enough to warrant further attribution of profits. Consequently, the Tribunal held that the finding of PE was without cogent reasons and deleted the additions made by the Ld. AO.

4. Taxability of Interest on Income-tax Refund:
The Ld. AO had taxed the interest on income-tax refund amounting to Rs. 16,26,89,778/- at the normal rates prescribed under the provisions of the Act, as opposed to the beneficial tax rate of 10% provided under Article 11 of the India-Ireland DTAA. The DRP directed that the interest paid under section 244A of the Act on the refunds determined for previous years should be taxed at 10% as per the rate provided under the India-Ireland DTAA. The Tribunal upheld this direction, aligning with the beneficial provisions of the DTAA.

Conclusion:
The Tribunal concluded that the issues of existence of PE and attribution of profits were fully covered by its previous orders and the Hon'ble Supreme Court's decisions. It rejected the reasons and conclusions of the Ld. AO and the DRP, deleted the additions made, and allowed the appeal of the assessee. The Stay Application was rendered infructuous and dismissed. The order was pronounced in the open court on 09.02.2024.

 

 

 

 

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