Just a moment...

βœ•
Top
Help
πŸš€ New: Section-Wise Filter βœ•

1. Search Case laws by Section / Act / Rule β€” now available beyond Income Tax. GST and Other Laws Available

2. New: β€œIn Favour Of” filter added in Case Laws.

Try both these filters in Case Laws β†’

×

By creating an account you can:

Logo TaxTMI
>
Call Us / Help / Feedbackβœ•

Contact Us At :

E-mail: [email protected]

Call / WhatsApp at: +91 99117 96707

For more information, Check Contact Us

FAQs :

To know Frequently Asked Questions, Check FAQs

Most Asked Video Tutorials :

For more tutorials, Check Video Tutorials

Submit Feedback/Suggestion :

Email :
Please provide your email address so we can follow up on your feedback.
Category :
Description :
Min 15 characters0/2000
Make Most of Text Search βœ•
  1. Checkout this video tutorial: How to search effectively on TaxTMI.
  2. Put words in double quotes for exact word search, eg: "income tax"
  3. Avoid noise words such as : 'and, of, the, a'
  4. Sort by Relevance to get the most relevant document.
  5. Press Enter to add multiple terms/multiple phrases, and then click on Search to Search.
  6. Text Search
  7. The system will try to fetch results that contains ALL your words.
  8. Once you add keywords, you'll see a new 'Search In' filter that makes your results even more precise.
  9. Text Search
β•³
Add to...
You have not created any category. Kindly create one to bookmark this item!
βœ•
Create New Category
Hide
Title :
Description :
❮❮ Hide
Default View
Expand ❯❯
Close βœ•
🔎 Case Laws - Adv. Search
TEXT SEARCH:

Press 'Enter' to add multiple search terms. Rules for Better Search

Search In:
Main Text + AI Text
  • Main Text
  • Main Text + AI Text
  • AI Text
  • Title Only
  • Head Notes
  • Citation
Party Name: ?
Party name / Appeal No.
Law:
---- All Laws----
  • ---- All Laws----
  • GST
  • Income Tax
  • Benami Property
  • Customs
  • Corporate Laws
  • Securities / SEBI
  • Insolvency & Bankruptcy
  • FEMA
  • Law of Competition
  • PMLA
  • Service Tax
  • Central Excise
  • CST, VAT & Sales Tax
  • Wealth tax
  • Indian Laws
Courts: ?
Select Court or Tribunal
---- All Courts ----
  • ---- All Courts ----
  • Supreme Court - All
  • Supreme Court
  • SC Orders / Highlights
  • High Court
  • Appellate Tribunal
  • Tribunal
  • Appellate authority for Advance Ruling
  • Advance Ruling Authority
  • National Financial Reporting Authority
  • Competition Commission of India
  • ANTI-PROFITEERING AUTHORITY
  • Commission
  • Central Government
  • Board
  • DISTRICT/ SESSIONS Court
  • Commissioner / Appellate Authority
  • Other
In Favour Of: New
---- In Favour Of ----
  • ---- In Favour Of ----
  • Assessee
  • In favour of Assessee
  • Partly in favour of Assessee
  • Revenue
  • In favour of Revenue
  • Partly in favour of Revenue
  • Appellant / Petitioner
  • In favour of Appellant
  • In favour of Petitioner
  • In favour of Respondent
  • Partly in favour of Appellant
  • Partly in favour of Petitioner
  • Others
  • Neutral (alternate remedy)
  • Neutral (Others)
Landmark: ?
Where case is referred in other cases
---- All Cases ----
  • ---- All Cases ----
  • Referred in >= 3 Cases
  • Referred in >= 4 Cases
  • Referred in >= 5 Cases
  • Referred in >= 10 Cases
  • Referred in >= 15 Cases
  • Referred in >= 25 Cases
  • Referred in >= 50 Cases
  • Referred in >= 100 Cases
Situ: ?
State Name or City name of the Court
Include Word: ?
Searches for this word in Main (Whole) Text
Exclude Word: ?
This word will not be present in Main (Whole) Text
From Date: ?
Date of order
To Date:

---------------- For section wise search only -----------------


Statute Type: ?
This filter alone wont work. 1st select a statute > section from below filter
New
---- All Statutes----
  • ---- All Statutes ----
Sections: ?
Select a statute to see the list of sections here
New
---- All Sections ----
  • ---- All Sections ----

Accuracy Level ~ 90%



TMI Citation:
Year
  • Year
  • 2026
  • 2025
  • 2024
  • 2023
  • 2022
  • 2021
  • 2020
  • 2019
  • 2018
  • 2017
  • 2016
  • 2015
  • 2014
  • 2013
  • 2012
  • 2011
  • 2010
  • 2009
  • 2008
  • 2007
  • 2006
  • 2005
  • 2004
  • 2003
  • 2002
  • 2001
  • 2000
  • 1999
  • 1998
  • 1997
  • 1996
  • 1995
  • 1994
  • 1993
  • 1992
  • 1991
  • 1990
  • 1989
  • 1988
  • 1987
  • 1986
  • 1985
  • 1984
  • 1983
  • 1982
  • 1981
  • 1980
  • 1979
  • 1978
  • 1977
  • 1976
  • 1975
  • 1974
  • 1973
  • 1972
  • 1971
  • 1970
  • 1969
  • 1968
  • 1967
  • 1966
  • 1965
  • 1964
  • 1963
  • 1962
  • 1961
  • 1960
  • 1959
  • 1958
  • 1957
  • 1956
  • 1955
  • 1954
  • 1953
  • 1952
  • 1951
  • 1950
  • 1949
  • 1948
  • 1947
  • 1946
  • 1945
  • 1944
  • 1943
  • 1942
  • 1941
  • 1940
  • 1939
  • 1938
  • 1937
  • 1936
  • 1935
  • 1934
  • 1933
  • 1932
  • 1931
  • 1930
Volume
  • Volume
  • 1
  • 2
  • 3
  • 4
  • 5
  • 6
  • 7
  • 8
  • 9
  • 10
  • 11
  • 12
TMI
Example : 2024 (6) TMI 204
Sort By: ?
In Sort By 'Default', exact matches for text search are shown at the top, followed by the remaining results in their regular order.
RelevanceDefaultDate
TMI Citation
    No Records Found
    ❯❯
    MaximizeMaximizeMaximize
    0 / 200
    Expand Note
    Add to Folder

    No Folders have been created

      +

      Are you sure you want to delete "My most important" ?

      NOTE:

      Case Laws
      Showing Results for :
      Reset Filters
      Results Found:
      AI TextQuick Glance by AIHeadnote
      Show All SummariesHide All Summaries
      No Records Found

      Case Laws

      Back

      All Case Laws

      Showing Results for :
      Reset Filters
      Showing
      Records
      ExpandCollapse
        No Records Found

        Case Laws

        Back

        All Case Laws

        Showing Results for : Reset Filters
        Case ID :

        📋
        Contents
        Note

        Note

        -

        Bookmark

        print

        Print

        Login to TaxTMI
        Verification Pending

        The Email Id has not been verified. Click on the link we have sent on

        Didn't receive the mail? Resend Mail

        Don't have an account? Register Here

        Cases where this provision is explicitly mentioned in the judgment/order text; may not be exhaustive. To view the complete list of cases mentioning this section, Click here.

        Provisions expressly mentioned in the judgment/order text.

        <h1>Tribunal Remands Transfer Pricing & Tax Issues for Fresh Consideration</h1> The Tribunal allowed the appeal for statistical purposes, remanding transfer pricing issues back to the AO/TPO for fresh consideration and the corporate ... Transfer pricing adjustment - payment of export commission - Held that:- TPO is to conduct a Transfer Pricing analysis to determine the arm’s length price (ALP) and not to determine whether there is a service from which assessee has derived benefit or not. The exercise to determine whether assessee had derived any benefit or not from payment of such management fee is to be examined by the AO and appropriate disallowance u/s 37 is called for. In the instant case, the TPO had determined the ALP of payment of export commission at β€˜NIL’ by holding that the assessee did not derive any benefit from services rendered by the AE. Therefore, keeping in view the dictum laid down by the judgment of the Hon’ble Jurisdictional High Court in the case of CIT-I Vs. Cushman and Wakefield (India) (P.) Ltd. reported in [2014 (5) TMI 897 - DELHI HIGH COURT] necessarily AO as to determine whether the assessee has derived any benefit from payment of export commission and if any benefit had derived, whether such payment is commensurate to comparable transaction has to be examined by the TPO. For the above said purpose, the Transfer Pricing issue is restored to AO/TPO for denovo consideration. - Decided in favour of assessee for statistical purposes. Payment of royalty for export to Associated Enterprises (AEs) - Held that:- The assessee has sold the goods to AE on principal to principal basis and has received the sale consideration. In view of the above, in our opinion, there is no justification for disallowance of the royalty on the export. We may reiterate that the Revenue has disallowed the entire royalty paid even on domestic sale which has been considered at length by us in the earlier paragraph of this order and we have arrived at the conclusion that the payment or royalty was a revenue expenditure, incurred for the purpose of business. Accordingly, the addition made by the TPO by determining arm’s length price of royalty on export at nil is deleted. There is no justification for disallowance of royalty on the export made to the AEs. Accordingly, the addition made by the AO/TPO by determining the ALP of royalty on exports to the AEs at β€œnil” is deleted - Decided in favour of assessee. Sales tools expense disallowed - expense incurred by the Assessee for subsidizing 50 percent of the basic cost of standard tools / fixtures for standardization of β€˜Honda Exclusive Authorized Dealers [β€˜HEAD’] outlets - Held that:- It is observed that position on this issue is similar to that of the immediately preceding issue inasmuch as neither the ld. AR nor the ld. DR is aware of the final position on this issue in the earlier years. We, therefore, set aside the impugned order on this score and remit the matter to the file of AO for deciding it in consonance with the final view taken on it in earlier years. - Decided in favour of assessee for statistical purposes. Issues Involved:1. Transfer pricing adjustments related to export commission and royalty payments.2. Corporate tax matters concerning the disallowance of sales tools expenses.Detailed Analysis:Transfer Pricing Adjustments:Export Commission:The assessee, a subsidiary of Honda Motors Company Ltd., Japan, faced a transfer pricing adjustment of Rs. 6,87,02,000/- for export commission payments. The Transfer Pricing Officer (TPO) determined the Arm's Length Price (ALP) of this transaction as 'nil,' asserting that no services were rendered by the Associated Enterprises (AEs) to justify the commission. The Disputes Resolution Panel (DRP) upheld this view. However, referencing the Delhi High Court's judgment in CIT-I Vs. Cushman and Wakefield (India) (P.) Ltd., it was noted that the TPO's role is to determine the ALP and not to assess the benefit derived by the assessee. This task falls under the jurisdiction of the Assessing Officer (AO) under Section 37. Consequently, the matter was remanded to the AO/TPO for fresh consideration, emphasizing the need to determine whether the assessee derived any benefit from the export commission and if the payment was commensurate with comparable transactions.Royalty Payments:The TPO disallowed Rs. 1,22,06,657/- of royalty payments for exports to AEs, arguing that the assessee, being a 'contract manufacturer,' should not pay royalties as the benefits were reaped by the AE. The DRP confirmed this adjustment. The assessee contended that it was a full-risk bearing independent manufacturer, not a contract manufacturer, and highlighted its financial results showing higher profits from exports to AEs compared to non-AEs. The Tribunal found that the assessee had independent sales and received sales consideration on a principal-to-principal basis, thus justifying the royalty payments. The Tribunal referenced a similar case involving the assessee's sister concern, M/s. Hero MotoCorp Ltd., where royalty payments were allowed. Consequently, the addition made by the AO/TPO was deleted, and the royalty payments were deemed justified.Corporate Tax Matters:Sales Tools Expenses:The assessee claimed a deduction for sales tools expenses amounting to Rs. 73,59,000/-, incurred to subsidize 50% of the cost of standard tools/fixtures for standardizing Honda Exclusive Authorized Dealers (HEAD) outlets. The AO disallowed this expense, following the view taken in earlier years. The Tribunal noted that neither party was aware of the final position on this issue in previous years. Therefore, the matter was remitted to the AO for reconsideration in line with the final view taken in earlier years.Conclusion:The appeal was allowed for statistical purposes, with the Tribunal remanding the transfer pricing issues back to the AO/TPO for fresh consideration and the corporate tax matter to the AO for a decision consistent with prior years' rulings. The judgment emphasized the importance of adhering to established legal principles and ensuring that transfer pricing adjustments are based on a thorough and proper analysis of comparable transactions and the actual benefits derived by the assessee.

        Topics

        ActsIncome Tax
        No Records Found