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2023 (12) TMI 1162 - ITAT VISAKHAPATNAMTP Adjustment - Comparable selection - ALP for calculating the interest payable on NCDs - assessee’s contention was that the Ld. TPO has selected the comparable companies having secured debentures and / or not in the Solar Power Sector - HELD THAT:- As not disputed by the Revenue that the assessee has issued NCDs as unsecured and had agreed the rate of interest of 13%. The key criteria for determining the interest rate is the risk involved. When the loan given is unsecured, the risk is higher and there would be a higher rate of interest. In our considered view, the relationship of a holding / subsidiary is not the criteria for determining the interest with respect to secured / unsecured debt instruments. We find from the submissions of the AR that when the filters of secured or guaranteed are applied in the list of comparables, the rate of interest and the 65th percentile worked out to 14.25% which is over above the interest rate paid by the assessee. Further, when the companies in the Wind / Thermal Power Sectors are excluded, the 65th percentile worked to 14.25% which is over and above the interest rate paid by the assessee company. As relying on V R Surat (P.) Ltd [2023 (8) TMI 631 - ITAT SURAT] and Vena Energy KN Wind Power (P.) Ltd [2022 (12) TMI 712 - ITAT BANGALORE] Revenue has not brought any material / case / any contrary decision before us. Therefore, respectfully following the above decisions, we are of the considered view that the rate of interest charged by the assessee company is at Arm’s Length basis and therefore the ground No. 1 & 2 raised by the assessee are allowed.
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