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2013 (9) TMI 12 - AT - Income Tax


Issues Involved:
1. Transfer Pricing Issues
2. Disallowance of Employee Housing Loan and Advances Written Off
3. Exclusion of Receipts for Deduction under Section 80HHC
4. Exclusion of Items of Income for Deduction under Section 80IB
5. Charging of Interest under Section 234D
6. Disallowance under Section 14A
7. Payment of Back Wages

Detailed Analysis:

1. Transfer Pricing Issues:
- Facts: The assessee, a public limited company, entered into a Technology Transfer Agreement with Ciba Specialty Chemicals Inc. The assessee used the Comparable Uncontrolled Price (CUP) method to determine the Arm's Length Price for royalty payments. The TPO rejected the CUP method and adopted the Transactional Net Margin Method (TNMM), making an adjustment of Rs. 78,28,908/-.
- CIT(A) Decision: The CIT(A) upheld the TPO's rejection of the CUP method.
- Tribunal Decision: The Tribunal found that in subsequent years, the DRP accepted the CUP method as the Most Appropriate Method. It directed the AO to examine the CUP method offered by the assessee and make adjustments if necessary.
- Outcome: Grounds related to Transfer Pricing issues were allowed.

2. Disallowance of Employee Housing Loan and Advances Written Off:
- Facts: The AO disallowed the write-off of employee housing loans and advances, totaling Rs. 6,23,537/-. The CIT(A) allowed part of the claim but confirmed the disallowance of Rs. 4,67,633/- and Rs. 1,55,904/-.
- Tribunal Decision: The Tribunal directed the AO to allow the claim as a business loss, following the precedent set in Edelweiss Capital Ltd.
- Outcome: Ground related to the disallowance was allowed.

3. Exclusion of Receipts for Deduction under Section 80HHC:
- Facts: The AO excluded 90% of various receipts from the profits for calculating deduction under Section 80HHC, totaling Rs. 76,94,679/-.
- CIT(A) Decision: The CIT(A) upheld the AO's decision.
- Tribunal Decision: The Tribunal restored the issue to the AO to verify each item before concluding.
- Outcome: Ground related to exclusion of receipts was allowed for statistical purposes.

4. Exclusion of Items of Income for Deduction under Section 80IB:
- Facts: The AO excluded certain items of income from eligible profits for Section 80IB deduction, totaling Rs. 31,14,797/-.
- CIT(A) Decision: The CIT(A) allowed relief for some items but upheld the exclusion for others.
- Tribunal Decision: The Tribunal restored the issue to the AO to decide afresh in light of the decision in Associated Capsules Pvt. Ltd.
- Outcome: Ground related to exclusion of items was allowed for statistical purposes.

5. Charging of Interest under Section 234D:
- Facts: The AO charged interest under Section 234D, which was deleted by the CIT(A).
- Tribunal Decision: The Tribunal followed the jurisdictional High Court decision in CIT vs. Indian Oil Corporation Ltd. and directed the AO to levy interest as per law.
- Outcome: Revenue's appeal on this ground was allowed.

6. Disallowance under Section 14A:
- Facts: The AO applied Rule 8D and disallowed Rs. 1,33,66,174/- under Section 14A. The CIT(A) restricted the disallowance to Rs. 2,00,000/-.
- Tribunal Decision: The Tribunal upheld the CIT(A)'s decision, finding it reasonable.
- Outcome: Revenue's appeal on this ground was dismissed.

7. Payment of Back Wages:
- Facts: The AO disallowed back wages paid to a worker. The CIT(A) allowed the deduction.
- Tribunal Decision: The Tribunal upheld the CIT(A)'s decision, following the precedent in the assessee's own case for AY 2001-02.
- Outcome: Revenue's appeal on this ground was dismissed.

Summary of Results:
- Assessee's appeals in ITA 7779 and ITA 7780 were partly allowed.
- Revenue's appeals in ITA 7528 and ITA 7529 were partly allowed.
- Assessee's CO 174 and CO 151 were dismissed.
- Assessee's appeal in ITA 792 was allowed.
- Revenue's appeal in ITA 1034 was dismissed.

Order pronounced in the open Court on 28th August, 2013.

 

 

 

 

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