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Benefit of tolerance limit of +/- 5% as contained in Section 92C (2) available even when one comparable remains in comparable set.

Vivek Jalan
Tolerance limit deeming actual transaction price as arm's length price applies even with a single comparable remaining. Section 92C(2) and its provisos permit application of the most appropriate method to determine ALP, with the first proviso prescribing averaging where multiple prices arise and the second proviso allowing the actual transaction price to be deemed the ALP if variation from the ALP 'so determined' falls within the notified tolerance. The phrase 'so determined' covers ALP produced both by a single comparable and by the arithmetical mean, so the tolerance benefit applies even when only one comparable remains in the comparable set. (AI Summary)

Section 92C (2) of Income Tax Act states as follows –

“92C (2) The most appropriate method referred to in sub-section (1) shall be applied, for determination of arm's length price, in the manner as may be prescribed:

Provided that where more than one price is determined by the most appropriate method, the arm's length price shall be taken to be the arithmetical mean of such prices:

Provided further that if the variation between the arm's length price so determined and price at which the international transaction or specified domestic transaction has actually been undertaken does not exceed such percentage not exceeding three per cent of the latter, as may be notified by the Central Government in the Official Gazette in this behalf] the price at which the international transaction or specified domestic transaction has actually been undertaken shall be deemed to be the arm's length price…

As per the first proviso where more than one price is determined by the most appropriate method, the arm's length price shall be taken to be the arithmetical mean of such prices. Per contra, if there is only one price which is determined by the most appropriate method, then as per the main subsection (2) without the aid of proviso, that price shall constitute the ALP. The second proviso comes into play to deem the actual transacted price as the ALP. It provides that where the variation between the ALP “so determined” does not exceed the specified percentage, the price at which the international transaction has been undertaken 'shall be deemed to be the arm's length price'. The words 'so determined' as employed in the second proviso assume significance. As these have been used in the second proviso distinct from the subject matter of the first proviso, these will apply to the ALP determined under sub-section (2) consisting of the main provision and the first proviso. Resultantly, the option of 'deemed' ALP shall extend not only to a situation where more than one price is determined as ALP by the most appropriate method but also where only one price is determined as ALP. The net result is that the option to the assesses shall be available in both the situations, covered under main subsection (2) and the first proviso.

Hence in the case of M/S PHILIPS INDIA LIMITED VERSUS ACIT, CIRCLE-12 (2) KOLKATA - 2023 (3) TMI 345 - ITAT KOLKATA where TPO had rejected six out of seven comparable companies identified by assessee and only one comparable remained in comparable set, and that comparable fell within tolerance limit of +/- 5% as contained in Section 92C(2) of the Act, Benefit of tolerance limit under 2nd proviso to Section 92(C)(2) of the Act was considered to be available to assesses.

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