COURT: | ITAT Pune |
CORAM: | D. Karunakara Rao (AM), Vikas Awasthy (JM) |
SECTION(S): | 92 |
GENRE: | Transfer Pricing |
CATCH WORDS: | Arms length price, RPM, TNMM, Transfer Pricing |
COUNSEL: | Ketan Ved |
DATE: | June 16, 2017 (Date of pronouncement) |
DATE: | September 12, 2017 (Date of publication) |
AY: | 2008-09 |
FILE: | Click here to view full post with file download link |
CITATION: | |
Transfer Pricing: In the case of an assessee engaged in distribution activity there is no value addition to the product in question even if the selling and marketing expenses are borne by the assessee. Accordingly, the Resale Price Method is the most appropriate method for bench marking the transaction and determining whether it is at arms' length. The TPO is not entitled to thrust TNMM to evaluate the transaction |
It is settled legal position at the various Benches of the Tribunal that, in case of distribution activity, even when there are selling and marketing expenses are borne by the assessee, there cannot be any value addition to the product in question. In such cases, Resale Price Method is the most appropriate one and accordingly we reverse the decision given by the AO/TPO/DRP in thrusting on the assessee the TNM method to the transaction under consideration
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