Income Tax Officer vs Sabre Travel Technologies Pvt. Ltd.
In this Transfer Pricing dispute, the Bangalore ITAT partially allowed the assessee’s appeal regarding ALP determination for software development services. The Tribunal excluded several comparable companies cited by the TPO, citing lack of functional comparability. However, it remanded the working capital adjustment issue back to the TPO/AO for fresh analysis, emphasizing proper methodology alignment with judicial precedents. The Tribunal upheld the assessee’s position on Section 10A deduction computation, requiring symmetrical treatment of expenses in export and total turnover. The lease rental disallowance matter was also remanded for factual re-examination. This judgment reinforces the importance of precise comparability analysis in transfer pricing and adherence to established judicial principles in computational matters.
Income Tax Officer vs Sabre Travel Technologies Pvt. Ltd. View Full Article »
