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ITAT Chennai Remands Global IT Services TP Adjustment, Orders Verification of Section 80JJAA Claim

Case Law Details

TaxGuru Citation
2026 taxguru.in 8934
Case Name
Ranstad India Private Limited Vs ACIT (ITAT Chennai)
Date of Judgement/Order
Only available for paid members
Related Assessment Year
2021-22
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Ranstad India Private Limited Vs ACIT (ITAT Chennai)

Material Facts

The assessee, engaged in providing HR solutions including staffing, recruitment, outsourcing and consulting services, is a wholly owned subsidiary of Randstad Asia Pacific B.V., Netherlands. It filed its return of income for Assessment Year 2021-22 declaring nil income.

The case was selected for scrutiny and referred to the Transfer Pricing Officer (TPO). The TPO proposed:

  • Downward adjustment to AE cost at entity level of ₹46,37,485.
  • Downward adjustment of ₹7,64,78,442 towards Global IT Services.

The Assessing Officer (AO) incorporated these transfer pricing adjustments in the draft assessment order and also made other additions, determining the assessed income at ₹13,92,28,760. The Dispute Resolution Panel (DRP) reduced the entity-level adjustment to ₹26,85,433 but upheld the adjustment relating to Global IT Services. The assessee appealed before the ITAT.

During the hearing, the assessee did not press Grounds 2 to 5 relating to aggregation of transactions and benchmarking, and those grounds were dismissed as not pressed.

Procedural History

  • Return of income filed declaring nil income.
  • Reference made to the TPO for determination of arm’s length price.
  • TPO proposed transfer pricing adjustments relating to entity-level AE cost and Global IT Services.
  • AO passed the draft assessment order incorporating the adjustments.
  • DRP granted partial relief by reducing one adjustment but upheld the Global IT Services adjustment.
  • The assessee appealed before the ITAT.

Legal Issues

  • Downward adjustment relating to payment for Global IT Services.
  • Deduction under Section 80JJAA.
  • Restriction of TDS credit.
  • Levy of fee under Section 234F.
  • Short grant of interest under Section 244A.
  • Levy of interest under Section 234B and initiation of penalty proceedings under Section 270A.

Relevant Statutory Provisions

  • Sections 143(3) and 144C(13)
  • Section 80JJAA
  • Sections 234F, 234B and 244A
  • Section 270A

Parties’ Submissions

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Author Info

CA Sandeep Kanoi
Qualification: CA in Job / Business
Company: Taxguru Consultancy
Location: Mumbai, Maharashtra
Articles Published: 19,778

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