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2020 (6) TMI 632 - AT - Income Tax


Issues:
1. Disallowance of employees' contribution to PF and ESI
2. Transfer pricing adjustment in a share capital subscription transaction

Issue 1: Disallowance of employees' contribution to PF and ESI:
The appeal challenges the disallowance of employees' contribution to PF and ESI by the AO. The assessee argues that only four instances had actual delays in payment, and the rest were made on time. The tribunal finds merit in the submissions and refers to a judgment for relief. The AO is directed to consider all details provided by the assessee and grant relief for payments made on time, following the judgment cited. The first ground of the appeal is partly allowed for statistical purposes.

Issue 2: Transfer pricing adjustment in a share capital subscription transaction:
The appeal contests an upward transfer pricing adjustment in a share capital subscription transaction with the AE. The assessee asserts that the transaction was for share application money in a joint venture entity, not a loan. The TPO re-characterized it as a loan, leading to the adjustment. The tribunal examines the arguments, including an alternative claim based on RBI circular and previous judgments. It is highlighted that the TPO cannot question the commercial expediency of the transaction without evidence of sham or concealment. Citing relevant judgments, the tribunal restricts the adjustment to the period of delay in share allotment, in line with RBI guidelines and previous decisions. The total addition is adjusted accordingly, and the AO is directed to implement the order. The appeal is partly allowed in this regard.

This detailed analysis of the legal judgment addresses the issues of disallowance of employees' contribution to PF and ESI, as well as the transfer pricing adjustment in a share capital subscription transaction, providing a comprehensive overview of the tribunal's decision and the reasoning behind it.

 

 

 

 

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