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
  • 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

        <h1>Tribunal determines Arm's Length Price for international transactions, includes/excludes comparables based on functional similarities</h1> The Tribunal partially allowed both the revenue's and the assessee's appeals regarding the determination of the Arm's Length Price (ALP) for international ... TP Adjustment - determination of Arm's Length Price [ALP] in respect of international transaction entered into by the assessee with its Associate Enterprise [AE] - comparable selection - HELD THAT:- The assessee provides software development [SWD] services to its AE. Rendering of SWD services by the assessee to its AE is an international transaction and that the income arising from the said international transaction has to be determined keeping in view the ALP as is required u/s. 92 of the Act. Thus companies functionally dissimilar with that of assessee need to be deselected. Issues Involved:1. Correctness of the determination of Arm's Length Price (ALP) in respect of international transactions.2. Inclusion and exclusion of comparable companies for ALP determination.3. Verification of the risk differential adjustment for the assessee's limited risk nature of contractual services.Detailed Analysis:1. Correctness of the determination of Arm's Length Price (ALP) in respect of international transactions:The primary issue in this appeal concerns the determination of the ALP for international transactions between the assessee, an Indian subsidiary of LG Electronics, South Korea, and its Associate Enterprise (AE). The assessee provides software development (SWD) services to its AE, and the income from this transaction must be determined based on the ALP as per Section 92 of the Income-tax Act, 1961. Both parties agreed that the Transaction Net Margin Method (TNMM) was the Most Appropriate Method (MAM) for determining the ALP, with Operating Profit/Total Cost (OP/TC) as the profit level indicator. The assessee's OP/TC was 14.20%, while the arithmetic mean of 13 comparable companies selected by the assessee was 13.71%. The Transfer Pricing Officer (TPO) accepted only 2 of these 13 comparable companies and selected 11 additional companies, resulting in an arithmetic mean profit margin of 24.82% before adjustments.2. Inclusion and exclusion of comparable companies for ALP determination:The Dispute Resolution Panel (DRP) excluded 10 out of 13 comparable companies selected by the TPO, retaining only Persistent Systems & Solutions Ltd., Sasken Communication Technologies Ltd., and Persistent Systems Ltd. The revenue appealed against this exclusion, while the assessee contested the inclusion of the three retained companies and the exclusion of R S Software India Ltd. and Evoke Technologies Ltd. The Tribunal allowed the inclusion of R S Software India Ltd., Evoke Technologies Ltd., and Mindtree Ltd. as comparables, as both parties had no objections. For the remaining 7 companies excluded by the DRP, the Tribunal upheld their exclusion based on precedents from similar cases, emphasizing functional dissimilarities and issues such as high related party transactions (RPT) and lack of segmental details.3. Verification of the risk differential adjustment for the assessee's limited risk nature of contractual services:The assessee raised an issue regarding the non-provision of an appropriate adjustment for the risk differential, given its limited risk nature of contractual services compared to full-fledged entrepreneurial companies. The Tribunal directed the Assessing Officer (AO) to verify the assessee's claim and provide the correct credit for advance taxes paid.Conclusion:The Tribunal's decision partially allowed both the revenue's and the assessee's appeals. It directed the inclusion of certain companies as comparables and upheld the exclusion of others based on functional dissimilarities and other relevant factors. Additionally, the Tribunal instructed the AO to verify the risk differential adjustment claimed by the assessee. The detailed analysis and adherence to legal precedents ensure a fair determination of the ALP for the international transactions in question.

        Topics

        ActsIncome Tax
        No Records Found