Transfer-pricing comparability requires an appropriate turnover band, functional alignment, segmental data, and working capital adjustment in benchmarking.
A fresh assessment made pursuant to a revision order lacks legal foundation once that revision order is set aside, leaving the original regular assessment operative. For transfer-pricing comparability, turnover may be used as a filter where enterprise size materially affects comparability, but the appropriate band depends on the tested party's turnover and available functionally comparable companies; the notes describe a one-tenth-to-ten-times range. Functionally dissimilar packaging companies should be excluded, while a company with reliable segmental data for the relevant packaging/plastics segment may be included. Working capital adjustment is required for reliable operating-margin comparison, subject to verification and recomputation of the relevant data.
Issues: (i) Whether a fresh assessment made pursuant to a revision order could survive after the revision order was set aside; (ii) Whether turnover is a valid transfer-pricing comparability filter and what turnover range should apply; (iii) Whether specified companies were functionally comparable and could be included or excluded from the comparable set; (iv) Whether working capital adjustment should be granted while determining the arm's length price.
Issue (i): Whether a fresh assessment made pursuant to a revision order could survive after the revision order was set aside.
Analysis: The revision order under Section 263, pursuant to which the fresh assessment was made, had already been set aside. The original regular assessment consequently remained operative, leaving no foundation for the fresh assessment.
Conclusion: The fresh assessment was invalid and could not survive; this issue was decided in favour of the assessee.
Issue (ii): Whether turnover is a valid transfer-pricing comparability filter and what turnover range should apply.
Analysis: Turnover is a permissible comparability filter under the transfer-pricing framework, since material differences in enterprise size may affect comparability. A fixed threshold was unsuitable; the appropriate range depends on the tested party's turnover and availability of functionally comparable companies. For a turnover of about Rs.300 crores, a range from one-tenth to ten times that turnover was considered appropriate.
Conclusion: Turnover filtering was upheld, but the applicable range was fixed at Rs.30 crores to Rs.3,000 crores; this issue was partly decided in favour of the assessee.
Issue (iii): Whether specified companies were functionally comparable and could be included or excluded from the comparable set.
Analysis: Companies engaged in packaging products for pharmaceutical or cement industries were not functionally comparable to an enterprise engaged in aseptic packaging for food and drink products. A company operating in packaging/plastics and mosquito-coil segments had available segmental information for its packaging/plastics segment, which supported its inclusion as a comparable.
Conclusion: The two functionally dissimilar companies were directed to be excluded, and the company with available packaging/plastics segment data was directed to be included; this issue was decided in favour of the assessee.
Issue (iv): Whether working capital adjustment should be granted while determining the arm's length price.
Analysis: Working capital adjustment was recognised as required for a reliable comparison of operating margins. The necessary computation and fresh benchmarking required verification of the relevant data, with a reasonable opportunity to the assessee.
Conclusion: Working capital adjustment was directed to be granted, with the matter restored for verification and recomputation; this issue was decided in favour of the assessee.
Final Conclusion: The transfer-pricing determination must be recomputed using the prescribed turnover band, revised comparable set, and working capital adjustment, while the assessment founded on the annulled revision lacks legal foundation.