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2019 (12) TMI 374 - AT - Income Tax


Issues Involved:
1. Cross appeals for the assessment year 2010-11 and one appeal by the assessee for the assessment year 2011-12 involving common issues.

Analysis:
A.Y. 2010-11:
1. Transfer Pricing Adjustment - Import of Raw Materials:
- The TPO recommended a transfer pricing adjustment, which the DRP partially upheld. The assessee challenged the adjustment.
- The Tribunal noted that the issue of adopting a Foreign/Associated Enterprise as a tested party had been decided against the assessee in a previous year's order.
- The Tribunal directed the AO/TPO to restrict the transfer pricing adjustment to international transactions only, not entity-level transactions, in line with previous judgments.
- An additional ground raised by the assessee regarding the restriction of transfer pricing addition only to the value of international transactions was accepted.

2. Transfer Pricing Adjustment - Design Engineering Services:
- The TPO proposed a transfer pricing adjustment, which the AO made, and the assessee appealed.
- The assessee voluntarily offered a transfer pricing addition, which was not considered by the AO/TPO. The Tribunal directed the AO/TPO to verify and allow relief if the amount offered was inadvertently overlooked.
- The Tribunal excluded a comparable company, Coral Hub Ltd., due to differences in financial year endings and functional dissimilarities.

3. Miscellaneous Issues:
- Various other issues raised by the assessee were not pressed and dismissed.
- The Departmental appeal was dismissed due to low tax effect, following CBDT guidelines.

A.Y. 2011-12:
1. Transfer Pricing Adjustment - Import of Raw Materials:
- The assessee challenged a transfer pricing adjustment related to import of raw materials.
- Issues regarding comparables, depreciation adjustment, and multiple year data were dismissed as not pressed.
- The Tribunal directed to restrict the transfer pricing addition only to transactions with Associated Enterprises (AEs), not unrelated transactions.

In conclusion, the Tribunal partially allowed the appeals for both assessment years, directing adjustments in transfer pricing calculations and excluding certain comparables based on legal precedents and factual differences. The Departmental appeal was dismissed due to low tax effect, and various other issues were either dismissed or directed for further examination.

 

 

 

 

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