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2019 (10) TMI 437 - AT - Income Tax


Issues Involved:
1. Transfer pricing adjustment of international transactions.
2. Addition of sundry creditors under Section 41(1).
3. Disallowance of foreign exchange loss.
4. Addition of sundry creditor balances as unexplained credit.
5. Disallowance of legal and professional fees.
6. Disallowance of interest under Section 36(1)(iii).
7. Chargeability of interest under Section 234A.
8. Initiation of penalty proceedings under Section 271(1)(c).

Detailed Analysis:

1. Transfer Pricing Adjustment of International Transactions:
The primary issue was the transfer pricing adjustment for the import of raw materials from associated enterprises (AEs). The assessee used the Cost Plus Method (CPM) as the Most Appropriate Method (MAM) for benchmarking its international transactions, which was rejected by the Transfer Pricing Officer (TPO) in favor of the Transaction Net Margin Method (TNMM). The TPO's rejection was based on the assessee being a loss-making concern. The Dispute Resolution Panel (DRP) upheld the TPO's decision, rejecting the assessee's use of CPM and alternate CUP method using ICIS prices. The Tribunal found the reason for losses convincing and directed the TPO to adopt CUP as MAM using TIPS Data Base, considering portfolio approach for benchmarking transactions.

2. Addition of Sundry Creditors under Section 41(1):
The AO added ?1,24,008 under Section 41(1) for sundry creditors, which was upheld by the DRP. The Tribunal found that the liabilities were acknowledged in the balance sheet and had not ceased to exist. It directed the AO to delete the addition, referencing judicial precedents that support the assessee's argument.

3. Disallowance of Foreign Exchange Loss:
The AO disallowed ?26,13,86,459 as speculation loss, not business loss. The DRP directed the AO to verify if the forward contracts were related to trading transactions. The Tribunal admitted additional evidence from the assessee, including bank certificates confirming the loss related to trading transactions. The issue was remanded to the AO for verification.

4. Addition of Sundry Creditor Balances as Unexplained Credit:
The AO added ?21,43,13,273 as unexplained credit under Section 68. The assessee provided additional evidence, including addresses and PAN details of creditors. The Tribunal found the evidence sufficient to establish the identity and creditworthiness of the creditors and remanded the issue to the AO for re-examination.

5. Disallowance of Legal and Professional Fees:
The AO made an ad hoc disallowance of 20% of legal and professional fees for lack of documentary evidence. The Tribunal admitted additional evidence provided by the assessee and remanded the issue to the AO for re-examination.

6. Disallowance of Interest under Section 36(1)(iii):
The AO disallowed ?47,04,000 proportionately for interest-free advances given by the assessee. The Tribunal admitted additional evidence showing the advances were regular business transactions and remanded the issue to the AO for re-examination, considering the sufficiency of interest-free funds.

7. Chargeability of Interest under Section 234A:
The AO charged interest under Section 234A. The Tribunal found the return was filed before the due date and directed the AO to cancel the charge.

8. Initiation of Penalty Proceedings under Section 271(1)(c):
The Tribunal found the issue of penalty proceedings premature for adjudication at this stage.

Conclusion:
The Tribunal remanded several issues for re-examination by the AO, admitted additional evidence, and provided specific directions for each issue. The appeals were partly allowed for statistical purposes.

 

 

 

 

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