Appeal dismissed: petitioner denied ITC for electricity used in township maintenance as residential supply; Explanation 1(d) prospective under s.2(17)...
Registration under section 12AA granted where substantive charitable objects for ex-servicemen, incidental commercial activity permitted and profits a...
The ITAT directed deletion of transfer pricing adjustments relating to AMP expenditure and Asian regional headquarter allocations, held warranty reimbursements were pass-through with no markup, and upheld no merit in adjustments for design and development charges. Royalty adjustments were fixed per prior years (resulting in an Rs. 18,70,787 adjustment for 2001-12); royalties in specified assessment years were held at arm's length or restored to the AO for determination in light of a CA certificate. Expatriate salaries were allowed as business expenditure u/s 37(1). Section 80JJAA relief was allowed with retrospective effect as clarificatory. Refund claim for excess DDT was dismissed. Disallowances under s.40(a)(ia), repairs and maintenance, and penalty u/s 271(1)(c) were deleted.
The ITAT directed deletion of transfer pricing adjustments relating to AMP expenditure and Asian regional headquarter allocations, held warranty reimbursements were pass-through with no markup, and upheld no merit in adjustments for design and development charges. Royalty adjustments were fixed per prior years (resulting in an Rs. 18,70,787 adjustment for 2001-12); royalties in specified assessment years were held at arm's length or restored to the AO for determination in light of a CA certificate. Expatriate salaries were allowed as business expenditure u/s 37(1). Section 80JJAA relief was allowed with retrospective effect as clarificatory. Refund claim for excess DDT was dismissed. Disallowances under s.40(a)(ia), repairs and maintenance, and penalty u/s 271(1)(c) were deleted.
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