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 - 2020 (10) TMI AT This

  • Login
  • Cases Cited
  • Summary

Forgot password       New User/ Regiser

⇒ Register to get Live Demo



 

2020 (10) TMI 243 - AT - Income Tax


Issues Involved:
1. Deletion of penalty on TP adjustment and disallowance under section 14A.
2. Inadvertent filing of an infructuous appeal.
3. TP adjustment on ALP of export of goods.
4. Credit of TDS.
5. TP adjustment related to interest on loan and corporate guarantee.
6. Disallowance under section 14A.
7. Rejection of set-off of prior period expenses from prior period income.

Detailed Analysis:

1. Deletion of Penalty on TP Adjustment and Disallowance under Section 14A (ITA No. 5095/DEL/2016):
- The Revenue's appeal against the CIT(A)'s order, which deleted the penalty on TP adjustment due to differences in interest on loans charged from AE and disallowance under section 14A, was dismissed.
- The Tribunal had previously deleted the quantum additions in ITA No. 4249/DEL/2013, leaving only an estimated addition of ?25,000 under section 14A.
- As the foundation for the penalty was removed, the Tribunal found no reason to interfere with the CIT(A)'s findings.

2. Inadvertent Filing of an Infructuous Appeal (ITA No. 6380/DEL/2016):
- The Revenue's appeal was dismissed as infructuous since a separate appeal (ITA No. 6130/DEL/2016) had already been filed for the same issue.

3. TP Adjustment on ALP of Export of Goods (ITA No. 6517/DEL/2016 & ITA No. 6130/DEL/2016):
- The assessee's appeal challenged the TP adjustment of ?26,10,077 made in the ALP of export of goods.
- The Tribunal allowed the appellant to make comparisons of prices on a monthly average basis, following the decision in the assessee's own case for A.Ys 2007-08 and 2008-09.
- The issue was sent back to the TPO to compute the ALP considering the transactions on an aggregate basis if the assessee could establish that the transactions were interlinked.
- The Tribunal also directed the TPO to examine the benefit of the ±5% tolerance range.

4. Credit of TDS (ITA No. 6517/DEL/2016):
- The Assessing Officer denied credit of TDS/TCS amounting to ?14,27,213 as it pertained to preceding years.
- The Tribunal upheld the AO's decision but directed that the credit should be allowed as per the provisions of law in preceding A.Ys.

5. TP Adjustment Related to Interest on Loan and Corporate Guarantee (ITA No. 6130/DEL/2016):
- The adjustment of ?7,63,15,464 was bifurcated into interest on loan (?1,45,49,640) and corporate guarantee (?6,17,65,824).
- The Tribunal followed the jurisdictional High Court's decision in CIT vs Cotton Naturals and deleted the adjustment, holding that LIBOR should be the basis for interest rates.
- For the corporate guarantee, the Tribunal upheld the CIT(A)'s decision, referencing the co-ordinate bench's findings in the assessee's own case for previous years.

6. Disallowance under Section 14A (ITA No. 6130/DEL/2016 & ITA No. 6539/DEL/2016):
- The Tribunal restricted the disallowance under section 14A to the amount of exempt income earned (?2,37,000 and ?1,77,000 respectively), following the jurisdictional High Court's decision in Joint Investment Pvt Ltd.

7. Rejection of Set-off of Prior Period Expenses from Prior Period Income (ITA No. 6518/DEL/2016):
- The assessee's appeal contested the rejection of set-off of prior period expenses (?46.39 lakhs) against prior period income (?433.12 lakhs).
- The Tribunal directed the AO to allow the set-off, referencing the Delhi High Court's decision in Exxon Mobil Lubricants (P) Ltd.

Conclusion:
- Revenue's appeals in ITA No. 5095/DEL/2016 and ITA No. 6380/DEL/2016 were dismissed.
- Revenue's appeals in ITA No. 6130/DEL/2016 and ITA No. 6539/DEL/2016 were partly allowed.
- Assessee's appeals in ITA No. 6517/DEL/2016 and ITA No. 6518/DEL/2016 were partly allowed for statistical purposes.

 

 

 

 

Quick Updates:Latest Updates