Tax Management India. Com
Law and Practice  :  Digital eBook
Research is most exciting & rewarding
  TMI - Tax Management India. Com
Follow us:
  Facebook   Twitter   Linkedin   Telegram

Home Case Index All Cases Income Tax Income Tax + AT Income Tax - 2015 (8) TMI AT This

  • Login
  • Cases Cited
  • Summary

Forgot password       New User/ Regiser

⇒ Register to get Live Demo



 

2015 (8) TMI 610 - AT - Income Tax


Issues Involved:
1. Determination of Arm's Length Price (ALP) for international transactions.
2. Payment of royalty and technical services fees.
3. Reimbursement of expenses.
4. Jurisdiction of Transfer Pricing Officer (TPO) and Dispute Resolution Panel (DRP).

Detailed Analysis:

1. Determination of Arm's Length Price (ALP) for International Transactions:
The core issue pertains to the determination of the ALP for international transactions exceeding Rs. 15 crores entered into by the assessee with its Associated Enterprises (AEs). The TPO observed that the assessee paid Rs. 9,39,74,409 as royalty and Rs. 61,77,041 as technical fees to its AE in Kuwait. The TPO accepted the Comparable Uncontrolled Price (CUP) method adopted by the assessee but concluded that the payment of royalty and technical fees was not justified as the assessee did not derive any tangible benefit from these payments. Consequently, the TPO determined the ALP of these payments as 'Nil' and made adjustments accordingly.

2. Payment of Royalty and Technical Services Fees:
The TPO's contention was that the assessee did not require any technical services from its AE as most of the work was outsourced, indicating that the work involved low-end jobs not requiring specialized skills. The TPO also held that the royalty payment should be commensurate with the benefit derived, which was not demonstrated by the assessee. The DRP, however, observed that similar transactions in earlier assessment years (A.Ys) had been decided in favor of the assessee by the Tribunal, which held that the payment of royalty and technical fees was justified and at ALP. The Tribunal had relied on the decision of the Hon'ble Delhi High Court in CIT vs. EKL Appliances, which emphasized that the TPO should not question the business prudence of the assessee.

3. Reimbursement of Expenses:
The TPO made an adjustment of Rs. 1,07,99,889 as an ALP adjustment on the reimbursement of expenses received. The DRP, following the Tribunal's decisions in earlier A.Ys, deleted the ALP adjustment proposed by the AO. The Tribunal upheld the DRP's decision, reiterating that the agreements for royalty and technical fees were periodically approved by the RBI and the Ministry of Industries, and the payments were made as per these agreements.

4. Jurisdiction of TPO and DRP:
The Tribunal highlighted that the TPO has no jurisdiction to question the business prudence of the assessee or to disallow the entire amount of royalty and technical fees without determining the ALP. The Tribunal referred to various judicial precedents, including the Hon'ble Delhi High Court's decision in CIT vs. EKL Appliances, which stated that the TPO should focus on determining the ALP rather than questioning the necessity or prudence of the expenditure. The Tribunal concluded that the TPO's action of determining the ALP at 'Nil' was not sustainable as the payments were made under agreements approved by the relevant authorities and were necessary for the assessee's business operations.

Conclusion:
The Tribunal dismissed the Revenue's appeal, upholding the DRP's decision to delete the ALP adjustments proposed by the AO. The Tribunal reiterated that the payments of royalty and technical fees were justified, at arm's length, and made as per agreements approved by the RBI and the Ministry of Industries. The Tribunal emphasized that the TPO should not question the business decisions of the assessee but should focus on determining the ALP based on comparable transactions. The decision of the Tribunal in the assessee's own case for earlier A.Ys was applied to the current A.Y, leading to the dismissal of the Revenue's appeal.

 

 

 

 

Quick Updates:Latest Updates