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  • Court allows refund claim filed electronically within time, overriding circular…

    Goods & Services Tax,Apr. 25, 2024

    The case involved a company, M/s Chromotolab and Biotech Solutions, that filed a refund claim electronically on the common portal within the prescribed time limit. However, the tax authorities rejected the claim as time-barred because the physical submission of the application and documents happened after the due date, as per a circular. The High Court of Gujarat ruled in favor of the company, directing the authorities to re-credit the refund amoun…

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  • Tribunal excludes 3 comparables from transfer pricing analysis, directs AO to r…

    Income Tax,Mar. 28, 2024

    This case involves an appeal filed by the assessee against the assessment order for the assessment year 2007-08, where the Transfer Pricing Officer (TPO) and the Dispute Resolution Panel (DRP) had determined the arm's length price (ALP) of the assessee's international transactions by selecting certain comparables. The assessee challenged the inclusion of three comparables, namely Chokshi Laboratories Ltd., Indus Technical & Financial Consultants Lt…

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  • IT firm's transfer pricing adjustment rejected; comparables rightly excluded by…

    Income Tax,Mar. 28, 2024

    This case involves an appeal filed by the revenue department against the decision of the Income Tax Appellate Tribunal (ITAT) regarding the exclusion of certain companies as comparables for determining the arm's length price (ALP) of international transactions between the assessee (an IT firm) and its associated enterprises (AEs). The ITAT had upheld the exclusion of Infosys BPO Ltd., Acropetal Technologies Ltd., and e-Clerx Services Ltd. as compar…

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  • Income Tax,Mar. 28, 2024

    This case deals with the selection of comparable companies for benchmarking the arm's length price of international transactions between the assessee, a captive back office service provider, and its associated enterprises (AEs). The Revenue challenged the exclusion of Accentia Technologies Ltd. and the inclusion of R Systems International Ltd. and Caliber Point Business Solutions Ltd. as comparables by the Dispute Resolution Panel (DRP). The assess…

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  • Income Tax,May. 19, 2021

    This case involves an appeal by a software company against the transfer pricing adjustment made by the tax authorities. The key issue was the selection of comparable companies for determining the arm's length price of the company's international transactions with its associated enterprises. The court rejected several companies proposed by the tax authorities as comparables, citing functional dissimilarities and other factors that made them incompar…

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Software firm wins partial relief from transfer pricing adjustment on staffing,…

The case involves a software company that appealed against a transfer pricing adjustment made by the tax authorities on its international transactions related to software development and staffing services provided to associated enterprises (AEs). The key issue was the comparability analysis and the selection of appropriate comparables for benchmarking the company's profitability.

Income Tax,Dec. 15, 2020
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  • Income Tax,Jun. 22, 2021

    This case involves an appeal filed by Bertelsmann Marketing Services India Private Limited (the Assessee), a wholly-owned subsidiary of a German company, against the transfer pricing adjustment made by the Indian tax authorities for the Assessment Year 2010-11. The Assessee rendered IT-enabled services to its associated enterprises (AEs) and non-AEs. The Transfer Pricing Officer (TPO) and the Dispute Resolution Panel (DRP) made adjustments to the A…

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  • Income Tax,Jun. 18, 2021

    This case involves transfer pricing disputes between an Indian IT-enabled services (ITeS) company and the Indian tax authorities for the assessment years 2011-12 and 2012-13. The key issues relate to the selection of comparable companies for benchmarking the arm's length price of the ITeS transactions with the company's associated enterprise (AE). The court provided guidance on various factors to consider when selecting comparables, such as functio…

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Income Tax,Oct. 07, 2020

This case involves a software company (respondent) that rendered services to its US parent company. The Tax Department challenged the exclusion of 4 companies used as comparables by the Transfer Pricing Officer (TPO) to benchmark the respondent's international transaction. The Delhi High Court upheld the exclusion, ruling that the comparables were functionally dissimilar to the respondent.

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IT firm wins transfer pricing case, 4 comparables excluded by ITAT

This case involves a transfer pricing dispute between an IT firm and the Income Tax Department. The Income Tax Assessing Officer (AO) made a transfer pricing adjustment of Rs. 3.37 crores to the value of international transactions between the assessee and its associated enterprise for providing IT-enabled services (ITES). The assessee challenged the AO's order before the Income Tax Appellate Tribunal (ITAT). The key issue was the selection of compa…

Income Tax,Mar. 27, 2024
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