Showing posts with label software services.. Show all posts
Showing posts with label software services.. Show all posts

Thursday, 26 January 2017

Royalty Paid to AE Wasn't Capital Exp, as It Was Paid for Use of Trademark and Not for Its Acquisition

Where assessee-company made payment of royalty to its AE for mere use of trademark, that too by means of non-exclusive licence, it was to be allowed as revenue expenditure while determining ALP.
Assessee-company (GKN Driveline (India) Ltd.) was engaged in business of manufacture and sale of Constant Velocity Joints (CVJ) – During relevant year, assessee made payment of royalty to AE for use of its trademark in respect of manufactured products – In transfer pricing proceedings, TPO taking a view that payment in question was capital in nature, disallowed same and made certain addition to assessee’s ALP – It was noted that Tribunal in assessee’s own case relating to earlier assessment year, opined that assessee did not acquire any ownership right in trademarks by paying amount of royalty – It was further noticed that royalty was paid simply for use of trademarks, and that too tax consultancy firms in delhi, by means of a non-exclusive license – Tribunal had thus concluded that royalty payment was to be allowed as revenue expenditure – Whether in absence of any change in circumstances, following aforesaid order of Tribunal, impugned disallowance was to be deleted – Held, yes [In favour of assessee].
Companies With More Than 10 Times of Turnover of Assessee Couldn’t be Selected as Comparables.

Assessee-company (Acusis Software India (P.) Ltd.) was rendering ITES to its AE – Whether companies providing KPO services cannot be considered as comparable – Held, yes – Whether companies having turnover in excess of 10 times of turnover of assessee could not be selected as comparable – Held, yes – Whether companies having employees’ cost of less than 25 per cent were incomparable to assessee – Held, yes [Partly in favour of assessee] in chartered accountant firms in mumbai.

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