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17 results for “transfer pricing”+ Section 271(1)(b)clear

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Key Topics

Addition to Income15Exemption13Section 80H5Section 92C3Transfer Pricing3Disallowance3Section 271(1)(c)2Section 80I2Section 144C(5)2

SHRI.PRAKASH R. NAIR,KOLLAM vs. DCIT, KOLLAM

In the result, the assessee’s appeal is partly allowed for statistical purposes

ITA 141/COCH/2021[2000-2001]Status: DisposedITAT Cochin17 Jan 2024AY 2000-2001

Bench: Shri Sanjay Arora & Shri Manomohan Dasprakash R. Nair Dy.Cit, Central Circle Prop. Dhanya Foods Kollam Kochuppilammoodu Vs. Kollam 691001 [Pan:Abfpn4424P] (Appellant) (Respondent)

For Appellant: Shri R. Vijayaraghavan, AdvocateFor Respondent: Smt. J.M. Jamuna Devi, Sr. D.R
Section 143(1)Section 148(1)Section 271(1)(c)Section 274Section 80Section 801A(9)Section 80HSection 80I

271(1)(c) of the Act vide notice u/s. 274 of even date: 2 Prakash R. Nair v. Dy.CIT, Central Circle i. Claim for deduction u/s 80IA(Rs.68,82,867/-) was rejected. ii. Bank interest of Rs. 3,13,508/- was assessed as ‘Income from Other Sources’. iii. The claim for deduction u/s 80HHC was restricted with reference to section

Section 92C(2)2
Section 10B2
Section 143(3)2

M/S.APOLLO TYRES LTD,COCHIN vs. THE PRINCIPAL COMMISSIONER OF INCOMETAX, COCHIN

In the result, the appeal filed by the assessee stands partly allowed for statistical purposes

ITA 609/COCH/2017[2013-14]Status: DisposedITAT Cochin01 Sept 2025AY 2013-14

Bench: Shri Inturi Rama Rao, Am & Shri Rahul Chaudhary, Jm Assessment Year: 2013-14 Apollo Tyres Ltd. .......... Appellant 3Rd Floor, Areekal Mansion, Panampilly Nagar, Kochi 682036 [Pan: Aaaca6990Q] Vs. Dcit, Corporate Circle-1(1), Kochi ......... Respondent Assessee By: Shri Abraham Joseph Markos, Adv. Revenue By: Shri Sanjit Kumar Das, Cit-Dr Date Of Hearing: 20.08.2025 Date Of Pronouncement: 01.09.2025

For Appellant: Shri Abraham Joseph Markos, AdvFor Respondent: Shri Sanjit Kumar Das, CIT-DR
Section 115JSection 143(3)Section 32Section 32(1)(iia)Section 35Section 43(1)Section 92C

transfer pricing addition of Rs. 9,57,364/- to the income of the Assessee and holding that the international transactions pertaining to provision of corporate IT services do not satisfy the arm's length principle envisaged under the Act. 12.3 On the facts and in the circumstances of the case and in law, the Ld. AO/Ld. ΤΡΟ grossly erred

SMT. T.C. USHA,KOLLAM vs. THE ACIT, KOLLAM

In the result, the appeals of the assessees in ITA Nos

ITA 45/COCH/2016[2010-11]Status: DisposedITAT Cochin03 Feb 2020AY 2010-11

Bench: S/Shri Chandra Poojari, Am&George George K., Jm

b) Both AO and CIT (A) presumed every grade of kernels whether superior or inferior to be sold above cost of production which is well-nigh impossible. It is a fact and which is verifiable on a comparison with peers in the industry that splits, butts and pieces designated as inferior grades have a market price below cost. Accordingly

M/S. VIJAYALAXMICASHEW CO.,,KOLLAM vs. THE ACIT, KOLLAM

In the result, the appeals of the assessees in ITA Nos

ITA 47/COCH/2016[2008-09]Status: DisposedITAT Cochin03 Feb 2020AY 2008-09

Bench: S/Shri Chandra Poojari, Am&George George K., Jm

b) Both AO and CIT (A) presumed every grade of kernels whether superior or inferior to be sold above cost of production which is well-nigh impossible. It is a fact and which is verifiable on a comparison with peers in the industry that splits, butts and pieces designated as inferior grades have a market price below cost. Accordingly

M/S. VIJAYALAXMICASHEW CO.,,KOLLAM vs. THE ACIT, KOLLAM

In the result, the appeals of the assessees in ITA Nos

ITA 48/COCH/2016[2010-11]Status: DisposedITAT Cochin03 Feb 2020AY 2010-11

Bench: S/Shri Chandra Poojari, Am&George George K., Jm

b) Both AO and CIT (A) presumed every grade of kernels whether superior or inferior to be sold above cost of production which is well-nigh impossible. It is a fact and which is verifiable on a comparison with peers in the industry that splits, butts and pieces designated as inferior grades have a market price below cost. Accordingly

SMT. T.C. USHA,KOLLAM vs. THE ACIT, KOLLAM

In the result, the appeals of the assessees in ITA Nos

ITA 44/COCH/2016[2009-10]Status: DisposedITAT Cochin03 Feb 2020AY 2009-10

Bench: S/Shri Chandra Poojari, Am&George George K., Jm

b) Both AO and CIT (A) presumed every grade of kernels whether superior or inferior to be sold above cost of production which is well-nigh impossible. It is a fact and which is verifiable on a comparison with peers in the industry that splits, butts and pieces designated as inferior grades have a market price below cost. Accordingly

M/S. VIJAYALAXMICASHEW CO.,,KOLLAM vs. THE ACIT, KOLLAM

In the result, the appeals of the assessees in ITA Nos

ITA 49/COCH/2016[2011-12]Status: DisposedITAT Cochin03 Feb 2020AY 2011-12

Bench: S/Shri Chandra Poojari, Am&George George K., Jm

b) Both AO and CIT (A) presumed every grade of kernels whether superior or inferior to be sold above cost of production which is well-nigh impossible. It is a fact and which is verifiable on a comparison with peers in the industry that splits, butts and pieces designated as inferior grades have a market price below cost. Accordingly

SRI.R.PRAKASH,KOLLAM vs. THE ACIT, KOLLAM

In the result, the appeals of the assessees in ITA Nos

ITA 40/COCH/2016[2010-11]Status: DisposedITAT Cochin03 Feb 2020AY 2010-11

Bench: S/Shri Chandra Poojari, Am&George George K., Jm

b) Both AO and CIT (A) presumed every grade of kernels whether superior or inferior to be sold above cost of production which is well-nigh impossible. It is a fact and which is verifiable on a comparison with peers in the industry that splits, butts and pieces designated as inferior grades have a market price below cost. Accordingly

SRI.R.PRAKASH,KOLLAM vs. THE ACIT, KOLLAM

In the result, the appeals of the assessees in ITA Nos

ITA 42/COCH/2016[2010-11]Status: DisposedITAT Cochin03 Feb 2020AY 2010-11

Bench: S/Shri Chandra Poojari, Am&George George K., Jm

b) Both AO and CIT (A) presumed every grade of kernels whether superior or inferior to be sold above cost of production which is well-nigh impossible. It is a fact and which is verifiable on a comparison with peers in the industry that splits, butts and pieces designated as inferior grades have a market price below cost. Accordingly

SRI.R.PRAKASH,KOLLAM vs. THE ACIT, KOLLAM

In the result, the appeals of the assessees in ITA Nos

ITA 43/COCH/2016[2011-12]Status: DisposedITAT Cochin03 Feb 2020AY 2011-12

Bench: S/Shri Chandra Poojari, Am&George George K., Jm

b) Both AO and CIT (A) presumed every grade of kernels whether superior or inferior to be sold above cost of production which is well-nigh impossible. It is a fact and which is verifiable on a comparison with peers in the industry that splits, butts and pieces designated as inferior grades have a market price below cost. Accordingly

SRI.R. PRATAP,KOLLAM vs. THE ACIT, KOLLAM

In the result, the appeals of the assessees in ITA Nos

ITA 39/COCH/2016[2010-11]Status: DisposedITAT Cochin03 Feb 2020AY 2010-11

Bench: S/Shri Chandra Poojari, Am&George George K., Jm

b) Both AO and CIT (A) presumed every grade of kernels whether superior or inferior to be sold above cost of production which is well-nigh impossible. It is a fact and which is verifiable on a comparison with peers in the industry that splits, butts and pieces designated as inferior grades have a market price below cost. Accordingly

SRI.K.RAVINDRANATHAN NAIR,KOLLAM vs. THE ACIT, KOLLAM

In the result, the appeals of the assessees in ITA Nos

ITA 46/COCH/2016[2008-09]Status: DisposedITAT Cochin03 Feb 2020AY 2008-09

Bench: S/Shri Chandra Poojari, Am&George George K., Jm

b) Both AO and CIT (A) presumed every grade of kernels whether superior or inferior to be sold above cost of production which is well-nigh impossible. It is a fact and which is verifiable on a comparison with peers in the industry that splits, butts and pieces designated as inferior grades have a market price below cost. Accordingly

SRI.R. PRATAP,KOLLAM vs. THE ACIT, KOLLAM

In the result, the appeals of the assessees in ITA Nos

ITA 37/COCH/2016[2009-10]Status: DisposedITAT Cochin03 Feb 2020AY 2009-10

Bench: S/Shri Chandra Poojari, Am&George George K., Jm

b) Both AO and CIT (A) presumed every grade of kernels whether superior or inferior to be sold above cost of production which is well-nigh impossible. It is a fact and which is verifiable on a comparison with peers in the industry that splits, butts and pieces designated as inferior grades have a market price below cost. Accordingly

SRI.R. PRATAP,KOLLAM vs. THE ACIT, KOLLAM

In the result, the appeals of the assessees in ITA Nos

ITA 38/COCH/2016[2010-11]Status: DisposedITAT Cochin03 Feb 2020AY 2010-11

Bench: S/Shri Chandra Poojari, Am&George George K., Jm

b) Both AO and CIT (A) presumed every grade of kernels whether superior or inferior to be sold above cost of production which is well-nigh impossible. It is a fact and which is verifiable on a comparison with peers in the industry that splits, butts and pieces designated as inferior grades have a market price below cost. Accordingly

SRI.R.PRAKASH,KOLLAM vs. THE ACIT, KOLLAM

In the result, the appeals of the assessees in ITA Nos

ITA 41/COCH/2016[2009-10]Status: DisposedITAT Cochin03 Feb 2020AY 2009-10

Bench: S/Shri Chandra Poojari, Am&George George K., Jm

b) Both AO and CIT (A) presumed every grade of kernels whether superior or inferior to be sold above cost of production which is well-nigh impossible. It is a fact and which is verifiable on a comparison with peers in the industry that splits, butts and pieces designated as inferior grades have a market price below cost. Accordingly

THE JT CIT, TRIVANDRUM vs. ALLIANZ CORNHILL INFORMATION SERVICES P. LTD, TRIVANDRUM

In the result, the appeal of the assessee is partly allowed and the

ITA 185/COCH/2015[2010-11]Status: DisposedITAT Cochin20 Dec 2019AY 2010-11

Bench: S/Shri Chandra Poojari, Am & George George K., Jm Assessment Year : 2010-11

Section 10BSection 144C(5)Section 92C(2)

1 Non-allowance of prior period income in the computation of margins of the Company Relief • The Transfer Pricing Officer ("TPO") erred in law and on facts in not allowing the prior period income in the computation of the margins of the Company for the year. • The Assessing officer has assessed the same as current year income while

M/S.ALLIANZ CORNHILL INFORMATION SERVICES P. LTD,TRIVANDRUM vs. JTCIT, TRIVANDRUM

In the result, the appeal of the assessee is partly allowed and the

ITA 191/COCH/2015[2010-11]Status: DisposedITAT Cochin20 Dec 2019AY 2010-11

Bench: S/Shri Chandra Poojari, Am & George George K., Jm Assessment Year : 2010-11

Section 10BSection 144C(5)Section 92C(2)

1 Non-allowance of prior period income in the computation of margins of the Company Relief • The Transfer Pricing Officer ("TPO") erred in law and on facts in not allowing the prior period income in the computation of the margins of the Company for the year. • The Assessing officer has assessed the same as current year income while