Income Tax Appellate Tribunal - Delhi
Dcit, New Delhi vs M/S. Veolia Water (India) Pvt. Ltd., New ... on 11 October, 2019
IN THE INCOME TAX APPELLATE TRIBUNAL, DELHI 'I-2' BENCH,
NEW DELHI
BEFORE SHRI N.K. BILLAIYA, ACCOUNTANT MEMBER, AND
MS. SUCHITRA KAMBLE, JUDICIAL MEMBER
ITA No. 6770/DEL/2015 [A.Y 2011-12]
Veolia India Pvt Ltd Vs. The Dy. C.I.T
[Earlier known as Veolia Water [I] Pvt Ltd Circle 26(1)
B - 1, Marble Arch, 9, Prithiviraj Road New Delhi
New Delhi
PAN: AABCV 7389 R
ITA No. 6693/DEL/2015 [A.Y 2011-12]
The Dy. C.I.T Vs. Veolia India Pvt Ltd
Circle 26(1) [Earlier known as Veolia Water [I] Pvt Ltd
New Delhi B - 1, Marble Arch, 9, Prithiviraj Road
New Delhi
PAN: AABCV 7389 R
(Applicant) (Respondent)
Assessee By : Shri Raghunath, CA
Ms. Shweta Gupta, CA
Department By : Ms. Nidhi Sharma Sr. DR
Date of Hearing : 09.10.2019
Date of Pronouncement : 11.10.2019
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ORDER
PER N.K. BILLAIYA, ACCOUNTANT MEMBER,
The above two captioned cross appeals by the assessee and revenue are preferred against the order dated 29.10.2015 framed u/s 143(3) r.w.s 144C of the Income-tax Act, 1961 [hereinafter referred to as 'The Act'] pertaining to assessment year 2011-12. Since both these appeals were heard together, these are being disposed of by this common order for the sake of convenience and brevity.
2. Grievance of the assessee is two-fold - firstly, the assessee is aggrieved by the transfer pricing adjustment of Rs. 53,68,398/- and, secondly, the assessee is aggrieved by the addition towards contract revenue recognised under Accounting Standard [AS] - 7.
3. Grievance of the Revenue relates to partial relief given by the Dispute Resolution Panel [DRP] against the addition towards contract revenue recognised under AS-7.
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4. We will first address to the common grievance involved in both the appeals relating to addition towards contract revenue recognised under AS-7.
3. Briefly stated, the facts of the case are that the assessee's core activities are in the field of water supply, distribution, treatment, management, operation & maintenance, etc. Its activities, inter-alia, involves construction, capacity augmentation, installation and commissioning of various types of water infrastructure facilities i.e., sewerage treatment plant, water treatment plant etc. The assessee also performs operation and maintenance of such facilities.
4. During the year under consideration, the assessee executed two contracts, namely, Project Kanhan and Project Demo Zone. The scope of work in Project Kanhan relates to construction of water treatment plant of 240 MLD and in Project Demo Zone, work on rehabilitation and implementation of uninterrupted water supply and reduction of UFW with improvement in level of services to customers in the pilot area of Dharampeth zone of NMC is done.
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5. The assessee follows the method prescribed in AS-7 to measure the extent of activity completed at the end of each year viz. the proportion of contract costs actually incurred till the balance sheet date over the total estimated budgeted contract costs.
6. The quarrel is in respect of the non-acceptance by the Assessing Officer of the budgeted contract costs considered by the assessee for the purposes of computing the percentage of completion of contract activity at the balance sheet date and the contract revenue to be recognized as income under the percentage completion method in compliance with AS - 7.
7. Disregarding the method of accounting adopted by the assessee, the budgeted contract costs have been computed by the AO in an indirect method with reference to the gross margin of 6.97% reported by the tax auditor in the tax audit report. The AO, accordingly, made additions in respect of Project Kanhan at aRs. 4,35,49,020/- and Project Demo Zone at Rs. 2,90,308/-.
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8. Objections were raised before the DRP and the DRP directed the Assessing Officer to also add other operating expenses to the budgeted contracts costs worked out by the Assessing Officer and to re-compute the contract revenue to be recognized as income on this basis. Following the directions of the DRP, the Assessing Officer reworked out contract revenue and additions got reduced to Rs. 21,70,078/- for Project Kanhan and to Rs. 4,051/- for Project Demo Zone.
9. Both the assessee and revenue are in appeal before us.
10. The representatives of both the sides were heard at length and the case records carefully perused. The entire quarrel can be summarised as under:
Assessee's Method (Project Specific Method based on costs incurred in the specific contract):
Estimated Budgeted Actual contract costs (both direct and other Contract Costs = operating costs) incurred till the balance sheet date + estimated similar costs to complete the contract. The assessee has estimated the costs to complete having regard to factors such as activities already completed, activity remaining to be 6 completed, time required to complete, past experience of costs already incurred, customer expectations, scope changes and other relevant factors.
AO's Method (Indirect Method with reference to Gross Margin) Estimated Budgeted Contract Revenue minus Gross Profit based Contract Costs = on the Company's Gross Margin of 6.97% reported by the Tax Auditor. The Ld. AO has, therefore, estimated the budgeted costs in an indirect manner by adopting the Gross Margin of 6.97% respecting all activities of the company including all the contracts.
DRP's Method (Hybrid method - a variation of the AO's method w.r.t Gross Margin and by adding other operating expenses) Estimated Budgeted Contract Revenue minus Gross Profit based Contract Costs = on the Gross Margin of 6.97% reported by the Tax Auditor + Other Operating Expenses
11. Recognition of contract revenue as per aforesaid three methods is tabulated as under:
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Project Kanhan As per DRP's AO's Method Directions Assessee's (Draft (Final Method assessment assessment order) (Amounts are in Rs. ) order) (1) Name of the Project KANHAN KANHAN KANHAN (2) Contract Value 683,899,283 683,899,283 683,899,283 (3) Total Estimated i.e. Budgeted Cost 680,067,402 636,231,502 677,739,286 (4) Total Cost incurred till 31 March 2011 628,193,537 628,193,537 28,193,537 (5) Percentage of Completion (%) = (4)/(3) 92.37% 98.74% 92.69% (6) Cumulative Contract Revenue till 31 March 2011 = (2) x (5) 631,733,132 675,282,152 633,903,211 (7) Cumulative Contract Revenue till 31 March 2010 391,647,050 391,647,050 391,647,050 (8) Contract Revenue for the FY 2010-11 (AY 2011-12)= (6) - (7) 240,086,082 283,635,102 242,256,161 (9) Addition for Alleged Short Recognition of Contract Revenue 43,549,020 2,170,079 (10) Relief as per Directions of the DRP 41,378,941 PROJECT DEMO ZONE As per DRP's AO's Method Directions Assessee's (Draft (Final Method assessment assessment order) (Amounts are in Rs.] order) (1) Name of the Project DEMO ZONE DEMO ZONE DEMO ZONE (2) Contract Value 260,234,060 260,234,060 260,234,060 (3) Total Estimated i.e. Budgeted Cost 242,384,620 242,095,747 242,384,620 (4) Total Cost incurred till 31 March 2011 221,099,477 221,099,477 221,099,477 (5) Percentage of Completion (%) = (4)/(3) 91.22% 91.33% 91.22% (6) Cumulative Contract Revenue till 31 March 2011 = (2) x (5) 237,381,459 237,671,767 237,381,458 (7) Cumulative Contract Revenue till 31 March 2010 202,335,107 202,335,107 202,335,107 (8) Contract Revenue for the FY 2010-11 (AY 2011-12)= (6) - (7) 35,046,352 35,336,660 35,042,300 (9) Addition for Alleged Short Recognition of Contract Revenue 290,308 4,051 (10) Relief as per Directions of the DRP 286,257 8
12. It is the say of the ld. counsel for the assessee that for computing the gross margin of 6.97%, deduction has been given only for project expenses viz. material cost, sub-contract expenses, technical fee, rates and taxes and certain other direct costs. The ld. counsel for the assessee stated that the Assessing Officer has not considered many items of other costs that have to be incurred for contract execution viz. payroll cost of the assessee's personnel executing the contract, travel and stay, external consultants and professional charges, insurance, vehicle hire, etc.
13. However, we find that this infirmity has been corrected by the DRP by directing the Assessing Officer to also consider other operating expenses to the budgeted costs and the same has been followed by the Assessing Officer. Therefore, no adverse inference is called for.
14. The ld. counsel for the assessee vehemently stated that adoption of gross margin of 6.97% from tax audit report is erroneous in as much as the margin of each contract has to be considered separately and the margin of 6.97% cannot be uniformly applied to all contracts because each contract has its own profitability.
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15. It is the say of the ld. DR that similar issue arose in A.Y 2009-10 and the Tribunal in ITA No. 4027/DEL/2013 vide order dated 23.11.2015 has restored the issue to the file of the Assessing Officer for passing the assessment order after considering the details/ evidences submitted by the assessee pertaining to budgeted costs of both the projects and the revenue recognised therefrom. Since the facts and issues are identical, the ld. DR prayed for a similar direction.
16. The ld. counsel for the assessee pointed out that in subsequent A.Y viz., 2015-16, the Additional CIT has issued directions u/s 144 of the Act following the directions of the DRP given in A.Y 2011-12 [which is the year under consideration].
17. We have considered the order of the co-ordinate bench in ITA No. 4027/DEL/2013 and have also the benefit of the directions u/s 144A of the Act given by the Additional Commissioner for A.Y 2015-16. We have also considered the assessment order for A.Y 2015-16 which has been framed pursuant to the directions of the Additional CIT u/s 144 of the Act. We have also the benefit of the assessment order for A.Y 2016-17 in which year also the Assessing Officer has considered the 10 directions of the DRP for A.Y 2011-12 [year under appeal] and the directions of the Additional CIT u/s 144 of the Act for A.Y 2015-16.
18. Considering the orders of the co-ordinate bench and the assessment orders of subsequent years, we find that the Assessing Officer has been consistent in accepting the methodology of the assessee adopted consistently following AS - 7. Considering the facts of the case in totality in light of the orders mentioned hereinabove, we do not find any merit in the appeal filed by the Revenue. We also do not find any merit in the methodology adopted by the DRP while dismissing the appeal of the revenue. We direct the Assessing Officer to delete the addition of Rs. 21,70,079/- for Project Kanhan and Rs. 4,051/- for project Demo Zone. Accordingly, Ground No 3 with all its sub grounds of the assessee's appeal is allowed and Ground No. 1 of the Revenue is dismissed.
19. Ground No. 2 in assessee's appeal with its sub grounds relates to transfer pricing adjustment.
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20. Facts on record show that the assessee is engaged in the provision of consultancy and advisory services including project construction and execution thereof in the field of water management industry. The appellant also provides certain support and consultancy services to its group companies.
21. The international transactions with its AEs can be understood from the following chart:
Associated Amount (in
Description of Transaction Method
Enterprises("AEs") Rs.)
Applied
Veolia EAU-CGE Transaction
(Project Office, Net Margin
Bangalore) Method
Rent received 2,804,145 ("TNMM")
Fees charged for
TNMM
deployment of personnel 26,593,313
Comparable
Purchase of used items of Uncontrolled
fixed assets 149,990 Price ("CUP")
Reimbursement made to the Cost Plus
AE 220,900 Method("CPM")
Reimbursement received
CPM
from AE 6,920,000
Veolia Water India Rendering of consultancy TNMM Africa services 74,193,695 Veolia EAU- CGE, Reimbursement received CPM France from AE 8,346,512 Charges levied by the AE for corporate guarantee CUP provided 1,287,693 Insurance charges recovered CPM by the AE 64,060 Veolia Water Mena Charges levied by the AE for CUP corporate guarantee 370,619 12 Associated Amount (in Description of Transaction Method Enterprises("AEs") Rs.) Applied provided Veolia Environment Reimbursement made to the CPM Campus AE 547,856 ELGA Labwater UK Rendering of services 2,802,792 TNMM Total 377,127,671
22. For the purposes of computation of arm's length price of above transactions, the assessee, in its transfer pricing study relied upon TNMM and considered operating profit earned from international transaction by operating cost as the relevant profit level indicator [PLI]. The PLI of the company was arrived at 10.90% on cost and when compared with PLI of the comparables at 8.55%, the assessee reported international transactions at arm's length.
23. The following companies were considered as comparables by the assessee:
Business profile of the S. No. Name of the Company OP/OC comparables selected It is engaged in providing Absotherm Facility facility management and 1 4.02% Management Pvt. Ltd. project consultancy services.
It is engaged in providing Coalition Development 9.52% 2 business intelligence Systems (India) Pvt. Ltd.
services including
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Business profile of the
S. No. Name of the Company OP/OC comparables selected
analytics and insight
services.
It is engaged in providing
Cyber Media Research 10.24% market research,
3 consultancy and advisory
Ltd.
services.
It is engaged in providing
5 I C R A Management 15.61% management consultancy
Consulting Services Ltd. and analytical services.
It is engaged in providing
6 Radiant Hospitality 3.35% integrated facilities
Services Pvt. Ltd. services.
Arithmetic Mean 8.55%
Appellant's Mean 10.90%
24. The TPO accepted only two comparables taken by the assessee, namely, Cyber Media Research Ltd and ICRA Management Consulting Services Ltd. and rejected all the other four comparables. The TPO suggested new set of comparables as under:
S. OP/OC
Name of the Company
No. (%)
1 Apitco Ltd 25.17
2 Cameo Corporate Services Ltd. 12.4
3 C D S L Ventures Ltd. 69.25
4 Cyber Media Research Ltd. 10.6
5 Global Procurement Consultants Ltd. 30.86
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S. OP/OC
Name of the Company
No. (%)
6 T S R Darashaw Limited 28.91
7 ICRA Management Consulting Services Ltd. 16.14
8 Killick Agencies & Mktg. Ltd. 8.47
Average 25.23%
25. The assessee raised objections before the DRP. After considering the facts, the DRP was of the opinion that CDSL Ventures Ltd and Global Procurement Consultants Ltd are not good comparables and directed the TPO to remove the same from the final set of comparables.
26. Following the directions of the DRP, final set of comparables taken by the TPO and consequent adjustment is as under:
S. No. Name of the company proposed OP/OC (%) as comparable 1 25.17 Apitco Ltd.
2 12.4 Cameo Corporate Services Ltd.3
8.47 Killick Agencies & Marketing Ltd.4
Cyber Media Research Ltd. 10.6
5 ICRA Management Consulting 16.14
Services Ltd.
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6 TSR Darashaw Ltd. 28.91
Average 16.94%
Particulars Amount in
INR
Operating cost 8,88,92,319
Arm's Length Margin 16.94%
Arm's Length Price (ALP) 103,950,677
Price shown in the international 98,582,279
transactions
Shortfall being adjustment u/s 92CA 5,368,398
27. Before us, the ld. counsel for the assessee vehemently argued for exclusion of four comparables. We will address each such comparable.
APITCO LTD.
28. The Annual Report of this company is placed at pages 471 to 505 of the paper book. We find that this company is a Technical Consultancy Organization which provide services to the Entrepreneurs and be a catalyst for the economic growth of the country. Services of this company include project report preparation, techno economic 16 studies, feasibility studies, micro enterprise development, skill development, project management consultancy, industrial cluster development, environmental management consulting, energy management consulting, market and social research and asset reconstruction management services. We find that the major revenue arises from cluster development, project related services and entrepreneurship development & training.
29. The revenue from cluster development is 41.43%. Considering the nature of activities of Aptico Ltd, vis a vis the business profile of the assessee, we are of the considered opinion that Aptico Ltd is involved in carrying out multiple activities that are not comparable to market support services.
30. Aptico Ltd was also excluded by the co-ordinate bench in Kobelco Cranes India Pvt. Ltd. Vs. ITO, ITA No. 802/Del/2016 for A.Y 201-12. The relevant findings of the co-ordinate bench read as under:
"8.3. A careful perusal of the operations carried out by Apitco Limited deciphers that this company is providing services in the nature of Project report preparation, Technical and economic studies, Feasibility studies, Micro 17 enterprise development, Skill development, Project management consulting, Industrial cluster development, Environmental management consulting, Energy management consulting, Market and social research and Asset reconstruction management services. No segment- wise profitability data of these services is available. The TPO has considered this company as comparable on entity level. We find that there is a tiny resemblance of some of the functions performed by this company with the overall activities undertaken by the Appellant. Under such circumstances, we fail to appreciate as to how all the above listed services taken together as one unit can be considered as comparable with the services provided by the Appellant as listed above."
31. Considering the business profile of the assessee, we do not find Aptico Ltd as a good comparable and accordingly direct the TPO to exclude the same from the final set of comparables. CAMEO CORPORATE SERVICES LTD
32. The Annual Report of this company is placed at pages 506 to 543 of the paper book. We find that this company has been established as Business Process Outsourcing (BPO) service provider, providing services to a wide range of clients. Its main businesses are in the areas of 18 Document Management, Medical Transcription, Data conversion and Registry & Share Transfer. It provides solutions in Insurance, Banking, Healthcare, Telecom, Financial & Accounting, Education and Media & Publishing services. This company also provides services in customer care, transaction processing and data processing and also I.T enabled services.
33. A perusal of the business profile of this company shows that this company is involved in IT enabled services/BPO services and on this count itself, cannot be considered as a good comparable with the business profile of the assessee. In our understanding, ITES companies use Information Technology that enables the business by improving the quality of service which cannot be considered for comparing with the service provided by the assessee to its AEs. We, accordingly, direct the TPO to exclude the same from the final set of comparables. TSR DARASHAW LTD
34. The Annual Report of this company is placed at pages 544 to 573 of the paper book. We find that this company is one of India's leading Business Process Outsourcing (BPO) organization certified under the ISO 19 9001:2000 guidelines having a total industry experience of over 35 years. This company has state-of-the-Art I.T. capabilities with well trained HR which are the key requirements for handling BPO activities. This company's main business products are Payroll & Employees Trust Fund Administration & Management, R & T for Shares, Debentures and FD, Category I Registrar by SEBI, Records Management, Transaction / Document Processing for Securitization, Loans etc.
35. These services speak for themselves and by any stretch of imagination cannot be compared with services provided by the assessee.
36. The TPO has himself observed that this company is involved in BPO services. Therefore, we fail to understand why this company was selected in the final set of comparables. Considering the business profile of the assessee, vis a vis with that of TSR Darashaw, we do not find this company as a good comparable and, accordingly, direct the TPO to exclude the same from the final set of comparables. 20 KILLICK AGENCIES & MARKETING LTD.
37. The Annual Report of this company is placed at pages 574 to 585 of the paper book. We find that this company markets Marine Equipment like specialized Propulsion Systems, Marine Engines, Ship Lighting & Navigation Lighting systems, Dredges and dredge equipment, Ship Building Presses, Rescue Boats and Specialized Davits, Reverse Osmosis Water Systems and Special Acoustic Communication Equipment for defense. This company is involved in exports of micro switches, engineering items, acoustics items & head sets. The Annual Report of this company suggests that this company boasts of its role in promotion of the Dredgers and Dredging equipment by leading manufacturers. There is no doubt that this company is engaged in marketing services and on this count alone, cannot be considered as a good comparable vis a vis the assessee. We, accordingly, direct the TPO to exclude the same from the final set of comparables.
38. The ld. DR, supporting the above comparables, had vehemently argued that TNMM method adopted by the assessee at the entity level itself shows the assessee is taking into consideration the overall 21 operating margin and, therefore, there cannot be any defect in the final set of comparables chosen by the TPO.
39. We do not find any merit in this argument of the ld. DR. We are of the considered view that the comparables should be on same platform as that of the business activities of the assessee and any deviation therefrom, will make the comparable a bad comparable. Considering the facts of the case in totality, qua the comparables, we direct the TPO to exclude the comparables as mentioned hereinabove from the final list of comparables. Thus, Ground No. 2 with all its sub grounds raised by the assessee is allowed.
40. In the result, the appeal of the assessee in ITA No. 6770/DEL/2015 is allowed and that of the Revenue in ITA No. 6693/DEL/2015 is dismissed.
The order is pronounced in the open court on 11.10.2019.
Sd/- Sd/-
[SUCHITRA KAMBLE] [N.K. BILLAIYA]
JUDICIAL MEMBER ACCOUNTANT MEMBER
Dated: 11th October, 2019
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VL/
Copy forwarded to:
1. Appellant
2. Respondent
3. CIT
4. CIT(A)
5. DR
Asst. Registrar,
ITAT, New Delhi
Date of dictation
Date on which the typed draft is placed before the dictating Member Date on which the typed draft is placed before the Other Member Date on which the approved draft comes to the Sr.PS/PS Date on which the fair order is placed before the Dictating Member for pronouncement Date on which the fair order comes back to the Sr.PS/PS Date on which the final order is uploaded on the website of ITAT Date on which the file goes to the Bench Clerk Date on which the file goes to the Head Clerk The date on which the file goes to the Assistant Registrar for signature on the order Date of dispatch of the Order