Restriction of Input Tax Credit under Rule 86A applies only to fraudulently or ineligible availed credit; mere wrongful recipient availment is insuffi...
Business reorganisation requires recognition of successor's modified return; draft orders against dissolved transferor quashed and fresh review direct...
Pre-commencement R&D deduction denied where business had not commenced; deeming benefit requires tangible start of manufacture or commercial exploitat...
Performance guarantee and product warranty obligations were held...
Transfer pricing on performance guarantees and overdue receivables deleted where warranty obligations were embedded and working capital adjustment already covered delay.
Contents
Summary
Note
Bookmark
Share
✓ Copied successfully !
Print
Print Options
For full text, please login
Login to TaxTMI
Verification Pending
The Email Id has not been verified. Click on the link we have sent on
Performance guarantee and product warranty obligations were held to be intrinsically linked to the software licensing and maintenance transaction, because the assessee was contractually responsible for updates, upgrades, maintenance and related services; the Tribunal therefore deleted the transfer pricing adjustment, also noting consistency with the assessee's own earlier year. Interest on overdue receivables was likewise deleted because the assessee had already applied TNMM with a working capital adjustment, the delay in collection was factored into the comparables analysis, and a further notional interest imputation would amount to duplication. The Tribunal found no material showing a disguised loan arrangement and accepted the explanation for delayed realisation.
Performance guarantee and product warranty obligations were held to be intrinsically linked to the software licensing and maintenance transaction, because the assessee was contractually responsible for updates, upgrades, maintenance and related services; the Tribunal therefore deleted the transfer pricing adjustment, also noting consistency with the assessee's own earlier year. Interest on overdue receivables was likewise deleted because the assessee had already applied TNMM with a working capital adjustment, the delay in collection was factored into the comparables analysis, and a further notional interest imputation would amount to duplication. The Tribunal found no material showing a disguised loan arrangement and accepted the explanation for delayed realisation.
Note: It is a system-generated summary and is for quick reference only.