Category: Income-Tax Act

Archive for the ‘Income-Tax Act’ Category


Windsor Machines Ltd. v. DCIT (2020) 81 ITR 41 / 185 ITD 576 / 206 TTJ 148 / (2021) 199 DTR 79 (Mum.)(Trib.)

S. 115JB : Book profit-Net worth turned positive-Discharged by he Sick Industrial Companies (Special Provisions) Act, 1985-Liable to be assessed on book profit-Matter remanded to pass speaking order-COVID 19 pandemic lockdown period would be excluded in computing 90 days total time limit for pronouncing appellate order. [S. 255, SICAS. S. 17]

Windsor Machines Ltd. v. DCIT (2020) 81 ITR 41 / 185 ITD 576 /206 TTJ 148/ (2021) 199 DTR 79 (Mum.)(Trib.)

S. 115JB : Book profit-Net worth turned positive-Discharged by he Sick Industrial Companies (Special Provisions) Act, 1985-Liable to be assessed on book profit-Matter remanded to pass speaking order-COVID 19 pandemic lockdown period would be excluded in computing 90 days total time limit for pronouncing appellate order. [S.255, SICAS S. 17]

Windsor Machines Ltd. v. DCIT (2020) 81 ITR 41 / 185 ITD 576 /206 TTJ 148 /(2021) 199 DTR 79 (Mum.)(Trib.)

S. 115JB : Book profit-Net worth turned positive-Discharged by he Sick Industrial Companies (Special Provisions) Act, 1985-Liable to be assessed on book profit-Matter remanded to pass speaking order-COVID 19 pandemic lockdown period would be excluded in computing 90 days total time limit for pronouncing appellate order. [S. 255, SICAS S. 17]

Tivo Tech (P.) Ltd. v. DCIT (2020) 185 ITD 209 (Bang.)(Trib.)

S. 92C : Transfer pricing-Arm’s length price-Working capital-Captive service provider-No negative working capital adjustment could be made.

Mahindra Heavy Engines Ltd. v. ACIT (2020) 185 ITD 291 (Mum.) (Trib.)

S. 92C : Transfer pricing-Arm’s length price-Royalty-Bench mark analysis-Matter remanded.

United Online Software Development (India) (P.) Ltd. v. DCIT (2020) 185 ITD 15 (Hyd.)(Trib.)

S. 92C : Transfer pricing-Arm’s length price-Comparable-Shown margin of 9.02 per cent as against average margin of final comparables adopted by TPO at 22.69 per cent-High Turnover having brand value to be excluded-Matter remanded to TPO for denovo consideration-Provisions for bad debts as non-operating expenditure only in case of three comparable companies-Foreign exchange loss being not an extra-ordinary item in relevant year to assessee alone and similar loss being incurred by comparable companies, it was not a distinguishing factor to be considered for arriving at ALP.

Hamon Cooling Systems (P.) Ltd. v. DCIT (2020) 185 ITD 23/196 DTR 97 / 208 TTJ 725 (Mum.)(Trib.)

S. 92C : Transfer pricing-Arm’s length price-Allowability of expenditure-TPO has no authority to disallow the expenditure-ALP adjustment cannot be equated with disallowance of expenses. [S. 37(1)]

KBACE Technologies (P.) Ltd. v. Dy. CIT (2020) 185 ITD 164 (Bang.)(Trib.)

S. 92C : Transfer pricing-Arm’s length price-Comparable-Companies whose turnover was less than or more than 10 times turnover of assessee could not be considered as comparable companies-Loss making companies in three financial years were to be excluded from list of comparables-Export filter turnover-Substantial expenditure on R &D-Matter remanded-As per retrospective amendment to section 92B w.e.f. 1-4-2002 deferred payment on receivables or any other debt arising during course of business was an international transaction. [S. 92B]

Tavant Technologies India (P.) Ltd. v. DCIT (2020) 185 ITD 309 (Bang.)(Trib.)

S. 92C : Transfer pricing-Arm’s length price-Comparable-Turnover of more than 200 crores upto 500 crores-Working capital adjustment-Negative working capital adjustment shall not be made in case of a captive service provider as there is no risk and it is compensated on a total cost plus basis.

Atlas Healthcare Software India (P.) Ltd. v. Dy. CIT (2020) 185 ITD 372 (Kol.)(Trib.)

S. 92C : Transfer pricing-Arm’s length price-Software development service-Comparable-Functionally different-Company, engaged in both development of software products as well as services whose segmental data was also not available could not be accepted as valid comparable-Filter-Related party-Providing multiple services like custom software development in addition to cloud computing, application services and mobile technology-providing software development and IT enabled services like hardware designing-Employee cost-Huge revenue from engineering design charges-broadband services and wireless internet-based communication services-Providing cloud consulting, cloud regulations and cloud application development-Software validation and verification services to banking and financial services industry worldwide-Held to be not comparable-Positive net worth-software development and testing services-Valid comparable.