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AI Drafter

Generate professional replies to Show Cause Notices, assessment orders, audit objections, and other legal communications using TaxTMI's AI Drafter.

Step 1 – Issue Identification & Review

The AI analyses your query, notice, order, or uploaded documents and identifies the key issues involved.

• Review the issues identified by the AI
• Add, edit, remove, or refine issues as required


Step 2 – Draft Generation

Once you approve the issues, the AI performs issue-wise legal research and prepares a structured draft response.

• Relevant statutory provisions
• Judicial precedents and Supreme Court, High Court and other citations
• Issue-wise legal analysis
• Practical arguments and supporting content
• Professionally structured draft ready for further review.

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2022 (2) TMI 811

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....he IT(TP)A No. 1364/Bang/2017 arises out of the A.O.'s order passed u/s. 154 (order dated 31.01.2011). The A.O. after passing the order u/s. 143(3) of the Act, passed rectification order u/s. 154 of the Act giving effect to the order passed by the Transfer Pricing Officer (TPO) in determining the Transfer Pricing (TP) adjustment from Rs. 37,24,00,000, to Rs. 39,13,10,000, hence two appeals are filed by the assessee. The relevant assessment year is 2012-2013. 2. The grounds raised for both the appeals are identical. The assessee has also filed additional ground vide letter dated 27.11.2021. The additional grounds are essentially, shades of grounds raised in Form No. 36. The additional grounds are legal grounds supported by judicial pr....

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.... Rs. 37,24,00,000 in the final assessment order, the A.O. had disallowed depreciation of Rs. 1,21,46,113. 4. Aggrieved by the final assessment order, the assessee has filed this appeal before the Tribunal, raising sixteen grounds and also various additional grounds. The issues raised in the grounds raised in Form No. 36 and the additional grounds are as follows:- Grounds raised in Form No. 36 (i) Grounds 1 to 3 - General. (ii) Grounds 4 & 5 - Application of turnover filter. (iii) Grounds 6 to 10 - Benchmarking of Royalty. (iv) Grounds 11 & 12 - Adjustments towards capacity utilization and project expenses. (v) Ground 13 - Restricting the adjustment to international transactions. ....

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....ange also has no basis and no legal sanction. Similarly, the learned AR submitted as regards the Related Party Transactions (RPT) is concerned, the TPO arbitrarily applied 5%. It was submitted that it is settled by various orders of the Tribunal that RPT filter of 15% should be applied. It was further submitted that the TPO had made TP adjustment at entity level, which is against the principle laid down by the Bangalore Bench of the Tribunal in the case of IKA India (P.) Limited v. ACIT reported in (2019) 101 taxmann.com 276 (Bangalore - Tribunal). As regards the capacity utilization, it was stated that the assessee had set up a new plant which had commenced production during the relevant assessment year. Therefore, it was submitted that th....

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....er turnover filter of Rs. 300 crore, without any basis or legal sanction. The decision on turnover filter are mainly for companies in IT industry and the report of Dun and Bradsten relied on by the Tribunal in the case of M/s. Genisys Engineering System (India) Pvt. Ltd. v. DCIT in ITA No. 1231/Bang/2010 (order dated 05.08.2011) was concerning IT industry. The TPO having applied the lower turnover filter has failed to apply the upper limit to the turnover. The DRP has arbitrarily changed the lower turnover filter to 10 times the turnover of the assessee's turnover, without any legal basis. Therefore, the entire issue of application of turnover filter has to be examined afresh by taking a proper FAR analysis. 7.1. Further, the TPO has....

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....ssee had claimed depreciation for capacity utilization, indirect project expenses and foreign loss (Annexure E of the TP adjustment at page 1169 of the paper book Val.I). The TPO did not agree for these adjustments (refer page 5 and 6 of the TPO's order) for the following reasons:- (i) Adjustment has been made on comparable and not on the tested party. (ii) Company is already 10 years old and there is no logic in giving such adjustment in the 10th year of operation. However, the A.O. has disregarded the fact that the assessee had set up a new plant and the new plant had commenced production during the relevant assessment year. The details of the same are placed at pages 309 of the paper book. The Tribunal in the cas....