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2016 (11) TMI 946 - AT - Income Tax


Issues:
1. Dispute over arm's length price determination for machinery purchased in an international transaction.
2. Application of the comparable uncontrolled price method.
3. Interpretation of rule 10B of the Income-tax Rules, 1962.

Analysis:
1. The appeal involved a disagreement regarding the arm's length price of machinery purchased by a subsidiary company from its holding company in an international transaction. The Transfer Pricing Officer compared the purchased machinery's value with the written down value of the parent company to determine the arm's length price. The Dispute Resolution Panel disagreed with this approach, leading to the appeal.

2. The Departmental Representative argued that the written down value should be the arm's length price due to recognized depreciation rates. In contrast, the representative for the assessee contended that the comparable uncontrolled price method should be applied, emphasizing the need to compare the purchased machinery with similar transactions in the uncontrolled market. The Dispute Resolution Panel supported the assessee's objection, rejecting the adjustment made by the Transfer Pricing Officer.

3. The Tribunal analyzed rule 10B of the Income-tax Rules, 1962, which outlines the method for determining arm's length price. It emphasized the necessity of identifying comparable transactions in the uncontrolled market for accurate price comparison. The Tribunal concluded that the written down value alone cannot determine the arm's length price and upheld the Dispute Resolution Panel's decision, dismissing the Revenue's appeal.

In summary, the judgment revolved around the correct application of the comparable uncontrolled price method and the interpretation of rule 10B in determining the arm's length price for machinery purchased in an international transaction. The Tribunal emphasized the importance of comparing transactions in the uncontrolled market and rejected the sole reliance on the written down value for pricing decisions.

 

 

 

 

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