Just a moment...

Top
Help
×

By creating an account you can:

Logo TaxTMI
>
Call Us / Help / Feedback

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
  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
Add to...
You have not created any category. Kindly create one to bookmark this item!
Create New Category
Hide
Title :
Description :
❮❮ Hide
Default View
Expand ❯❯
Close ✕
🔎 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.
Include Word: ?
Searches for this word in Main (Whole) Text
Exclude Word: ?
This word will not be present in Main (Whole) Text
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
Situ: ?
State Name or City name of the Court
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
From Date: ?
Date of order
To Date:
TMI Citation:
Year
  • Year
  • 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
By Case ID:

When case Id is present, search is done only for this

Sort By:
RelevanceDefaultDate
    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

        <h1>ITAT Confirms Exclusion of Expenses from Turnover Under Sec 10A and Upholds 5% Deduction from ALP Under Sec 92C(2.</h1> <h3>The Deputy Commissioner of Income Tax, Circle 12 (3), Bangalore Versus M/s. Sharp Software Development (India) Pvt. Ltd. And Vice-Versa.</h3> The ITAT upheld the CIT(A)'s decision to exclude travel and communication expenses from total turnover under Section 10A and confirmed the 5% standard ... Computation of deduction u/s. 10A - exclusion of expenditure on travelling and communication from the total turnover as well as the export turnover - HELD THAT:- There should be uniformity in the ingredients of both the numerator and the denominator of the formula, Section 10-A is a beneficial section. It is intended to provide incentives to promote exports. If the export turnover in the numerator is to be arrived at after excluding certain expenses, the same should also be excluded in computing the export turnover as a component of total turnover in the denominator. See TATA ELXSI LTD. [2011 (8) TMI 782 - KARNATAKA HIGH COURT]. TP Adjustment - comparable selection - HELD THAT:- Assessee is a captive service provider engaged in the business of developing, testing, customizing and maintaining high quality software for its Associated Enterprises (AE) thus companies functionally dissimilar with that of assessee need to be deselected. Issues Involved:1. Exclusion of expenditure on traveling and communication from total turnover for deduction under Section 10A.2. Inclusion/exclusion of comparables for computing Arm's Length Price (ALP) with respect to international transactions.3. Application of Related Party Transactions (RPT) filter.4. Eligibility for a standard deduction of 5% from ALP under Section 92C(2).5. Consideration of size, turnover, and brand for treating a company as a comparable.6. Use of financial data from the assessment year 2004-2005.7. Application of various quantitative and qualitative filters for comparables.8. Imposition of interest under Section 234B and 234C.Detailed Analysis:1. Exclusion of Expenditure on Traveling and Communication:The Revenue challenged the CIT(A)'s decision to exclude traveling and communication expenses from the total turnover for the purpose of computing deduction under Section 10A. The Tribunal upheld the CIT(A)'s decision, noting that it was consistent with the jurisdictional High Court's ruling in CIT v. Tata Elxsi Ltd., which supported the exclusion of such expenses from both total and export turnover.2. Inclusion/Exclusion of Comparables for ALP:The Tribunal examined the comparables used by the Transfer Pricing Officer (TPO) and the CIT(A). The CIT(A) had excluded several comparables based on RPT, turnover filter, and super profits. The Tribunal upheld the exclusion of companies like Infosys Technologies Ltd., Satyam Computer Services, and Flextronics Software Systems Ltd. due to functional dissimilarities, high turnover, and unreliable financial data. The Tribunal also excluded Bodhtree Consulting Ltd., Sankhya Infotech Ltd., and Visual Soft Technologies Ltd. for being functionally different from the assessee.3. Application of RPT Filter:The CIT(A) excluded comparables with any RPT, while the Tribunal noted that the RPT filter should be applied within a range of 15% to 25%. The Tribunal upheld the exclusion of companies with significant RPT but retained some comparables that fell within the acceptable range.4. Eligibility for Standard Deduction from ALP:The Revenue contested the CIT(A)'s allowance of a 5% standard deduction from the ALP under Section 92C(2). The Tribunal confirmed the CIT(A)'s decision, referencing the case of SAP Labs India Pvt. Ltd., which established that the pre-amended proviso allowed for such a deduction.5. Consideration of Size, Turnover, and Brand:The Tribunal agreed with the CIT(A) that factors like size, turnover, and brand are crucial in determining comparability. Consequently, companies like Infosys Technologies Ltd. were excluded due to their significantly larger size and brand value compared to the assessee.6. Use of Financial Data from AY 2004-2005:The assessee objected to the use of financial data from the assessment year 2004-2005, which was not available at the time of compliance. The Tribunal did not find merit in this objection, as the data used by the TPO was relevant and available at the time of assessment.7. Application of Various Filters for Comparables:The Tribunal examined the filters applied by the CIT(A) and upheld the exclusion of companies that did not meet the criteria for functional similarity, turnover, and RPT. The Tribunal also excluded companies involved in product development or those with extraordinary events like mergers and acquisitions.8. Imposition of Interest under Sections 234B and 234C:The assessee contested the imposition of interest under Sections 234B and 234C. The Tribunal did not specifically address this issue in the detailed analysis, implying that the imposition of interest was upheld as per the provisions of the Income Tax Act.Conclusion:The Tribunal's judgment provided a detailed analysis of the inclusion and exclusion of comparables for determining the ALP, upheld the exclusion of certain expenses from the total turnover for Section 10A deduction, and confirmed the application of a 5% standard deduction from the ALP. The judgment emphasized the importance of functional similarity, turnover, and RPT in selecting comparables and upheld the CIT(A)'s approach in most aspects. The appeal and cross-objections were partly allowed for statistical purposes.

        Topics

        ActsIncome Tax
        No Records Found