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2025 (7) TMI 1681 - AT - Income TaxTP Adjustment - Comparable selection - criteria of functional similarity/dissimilarity - comparable companies selected by the TPO are into manufacture of noncore auto parts - HELD THAT - As in the case of Sanden Vikas India Ltd 2019 (12) TMI 1694 - ITAT DELHI while deciding similar issue held at a manufacturer of noncomparable company cannot be compared with entities manufacturer core-auto components under TNMM with non-core auto components manufacturer. Roop Automotives Limited company manufactures core auto components hence ex-facie it is not a proper or suitable comparable. The company manufactures the components for four wheeler in commercial and passenger vehicles category unlike the Assessee Company which serves the two wheeler vehicle industry. As relying on case of Sanden Vikas India Ltd 2019 (12) TMI 1694 - ITAT DELHI we are of the considered opinion that Roop Automotives Limited is not an appropriate comparable. FIEM Industries Ltd. is entirely dis-similar to the assessee company in Functions/ Assets/ Risks hence it is not a proper comparable and has to be excluded as a comparable. It has huge Research Development facilities as well as export earnings. Hence the above Copmpany is not a proper comparable with the Assessee. GNA Axles Limited company manufactures core auto components hence the above Company is not a proper or suitable comparable. As relying on case of Sanden Vikas India Ltd 2019 (12) TMI 1694 - ITAT DELHI we are of the considered opinion that GNA Axles Limited is not an appropriate comparable. Sankei Giken India (P) Ltd Company it is not an appropriate comparable with the assessee who is manufacturing non-core components for two wheelers only. Aurangabad Electricals Ltd. is not an appropriate comparable with the assessee who is manufacturing non-core components for two wheelers only. Roots Industries India Ltd. is established company since 1970 whereas it is the first year of operation by assessee. It is not only into automobiles industry but has varied and diversified areas of manufacturing such as medical aerospace lab testing and commercial furniture manufacturing which are not in the automobile industry. On the other hand the Assessee s products are only in the automobile Industry. Hence functionally it is entirely mis-matched and not a proper comparable. In addition it has huge exports as well as R D activities. For this it is obvious that this is not a proper comparable with the assessee as this company has full-fledged manufacturing facilities in different countries and vide range of products including electric horns medical aerospace as well as commercial furniture. Whereas Assessee manufacture non-core components for two wheelers only in India.Root Industries India Ltd. is not an appropriate comparable. Talbros Engineering Private Limited is not an appropriate comparable as Annual Report of the Company under disclosure of principal products or services the types of products are Rear Axle Shafts Brakes Radiators mufflers Exhaust Pipes clutches. Thus clearly all products manufactured are core auto component as per Rule 10TA(b)(iii) of the Income Tax Rules. Remsons Industries Limited is not an appropriate comparable. Accordingly we direct the Ld. TPO to exclude the said company from comparables. Auto Line Industries cannot be excluded as comparable considering it as persistent loss making company. It is well settled now that where a company has earned profit in any year out of three years it cannot be termed as persistent loss making company hence the above Company cannot be excluded as comparable. The coordinate bench of the Tribunal in the case of Nokia Siemens Network India (P.) Ltd. 2019 (8) TMI 167 - DELHI HIGH COURT held that loss-making companies should not be excluded where there was no dispute as regards functional profile of assessee being similar to said company. Appeal of the Assessee is allowed. ISSUES:
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