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2022 (8) TMI 891 - AT - Income Tax


Issues Involved:
1. Delay in filing appeal and cross-objection.
2. Determination of arm's length rate of interest.
3. Comparability analysis and adjustments for differences in transactions.
4. Rejection and acceptance of comparables.
5. Acceptance of fresh annual reports.
6. Deletion of TP adjustment on guarantee fee.
7. Findings on corporate guarantee.

Issue-wise Detailed Analysis:

1. Delay in Filing Appeal and Cross-Objection:
The Tribunal considered the delay of 25 days in filing the appeal by the Department and 681 days in filing the cross-objection by the assessee. The Tribunal referenced the Supreme Court's liberal interpretation of "sufficient cause" for condonation of delay, emphasizing that justice should not be defeated on technical grounds. The Tribunal condoned both delays, allowing the appeal and cross-objection to be adjudicated on merits.

2. Determination of Arm's Length Rate of Interest:
The Department challenged the CIT(A)'s decision on the arm's length rate of interest. The CIT(A) held that the interest rate charged by the assessee from its AE should be benchmarked against the prevailing LIBOR rate. Since the interest rate charged was 5%, which was higher than the LIBOR rate of 0.72%, no ALP adjustment was required. The Tribunal upheld this decision, citing consistent rulings that international loans should be benchmarked against international rates like LIBOR.

3. Comparability Analysis and Adjustments:
The Department argued that the CIT(A) erred in the comparability analysis and adjustments for differences between international loan transactions and comparable uncontrolled transactions. The Tribunal found that the CIT(A) had correctly applied the external CUP method and benchmarked the transactions against the LIBOR rate, dismissing the Department's grounds.

4. Rejection and Acceptance of Comparables:
The Department contested the rejection of three comparables and the acceptance of fresh annual reports by the CIT(A). The Tribunal noted that the CIT(A) had accepted the comparables based on their availability in the public domain and rejected the new comparables identified by the TPO due to lack of appropriate FAR analysis. The Tribunal upheld the CIT(A)'s decision, emphasizing the need for consistency in the selection of comparables.

5. Acceptance of Fresh Annual Reports:
The Tribunal found that the CIT(A) had accepted fresh annual reports of comparables which were previously rejected by the TPO due to non-availability. The Tribunal upheld this acceptance, noting that the comparables were functionally similar and their annual reports were available in the public domain.

6. Deletion of TP Adjustment on Guarantee Fee:
The CIT(A) deleted the TP adjustment on guarantee fee, noting that no corporate guarantee was issued by the assessee during the relevant assessment year. The Tribunal upheld this deletion, finding no evidence to support the TPO's adjustment.

7. Findings on Corporate Guarantee:
The Tribunal found that the TPO's adjustment for corporate guarantee was arbitrary and not backed by evidence. The CIT(A) had correctly noted the absence of any corporate guarantee in the assessee's financial statements. The Tribunal upheld the CIT(A)'s deletion of the adjustment.

Conclusion:
The Tribunal dismissed the Department's appeal and partly allowed the assessee's cross-objection. The Tribunal upheld the CIT(A)'s decisions on the arm's length rate of interest, comparability analysis, acceptance of fresh annual reports, and deletion of TP adjustment on guarantee fee. The Tribunal emphasized the need for consistency and evidence-based adjustments in transfer pricing cases.

 

 

 

 

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