ACME Cleantech Solutions: A Case That Touches Every Corner of Transfer Pricing Law:

A landmark transfer pricing ruling where the ITAT Delhi grants substantial relief to ACME Cleantech while upholding the TNMM-based adjustment on sales to associated enterprises.
ITAT Delhi Decides Multiple Transfer Pricing Issues

ACME Cleantech Solutions: A Case That Touches Every Corner of Transfer Pricing Law
Case Details
Introduction
The case involves ACME Cleantech Solutions Pvt. Ltd., a company based in Gurgaon, Haryana, engaged in the manufacture and sale of telecom infrastructure equipment.
The dispute relates to Assessment Year (AY) 2012-13.
The Tribunal assesses multiple tax and transfer pricing issues arising from the company's business operations, including investments, inter-company loans, and sales to related foreign entities. Both of them filed cross appeals aggrieved from the CIT(A) Order, dated 22-3-2018.
Let’s decode it
Who are the parties?
Case Background & Facts
The assessee filed its income tax return for AY 2012-13 on 30 November 2012, declaring a total income of Rs. 1,95,60,970 (approximately Rs. 1.95 crore). The tax department selected the case for detailed scrutiny.
During scrutiny, the Assessing Officer (AO) found three areas for scrutiny:
| ITA No. | 3874 & 3963/Del/2018 |
| Assessment Year | 2012-13 |
| Date of Hearing | 27-04-2026 |
| Date of Pronouncement | 22-05-2026 |
| Income Tax Appellate Tribunal, "I" Bench, Delhi | |
| Assessee (Company) | M/s. ACME Cleantech Solutions Pvt. Ltd., Plot No. 152, Sector-44, Gurgaon, Haryana |
| Revenue (Department) | JCIT / DCIT, Circle-1(2), New Delhi |
- Investment in shares: The company invested Rs. 116.31 crore in shares and earned dividend income on it. The AO questioned the expenses claimed against earning this tax-free income.
- Advances to related parties: The company had given Rs. 317.77 crore in advances to its group companies. In one case, interest was not charged on Rs. 4.73 crore given to ACME Power Machines (group company).
- International transactions with foreign subsidiaries: The company had dealings with its foreign subsidiaries. The TPO assessed whether the prices charged were at arm's length or not.
- Addition 1: Section 14A r.w. Rule 8D ₹53,33,917
- Addition 2: Notional Interest on Advances ₹37,88,000
- Addition 3: Transfer Pricing Adjustments ₹15,78,31,334
- The company applied the LIBOR rate (London Interbank Offered Rate an international benchmark for US Dollar loans).
- The AO/TPO applied the SBI PLR (State Bank of India Prime Lending Rate: the Indian domestic rate).
- The CIT(A) directed use of LIBOR + 3%.
- Avantel Ltd: Specialised in customised defence communication and satellite-based telecom products with significant R&D. ACME makes standard telecom infrastructure equipment. Functionally very different R&D-driven companies have higher costs and margins.
- Goldstone Infratech Ltd.: Primarily in electric buses, LED lighting and smart power systems for government infrastructure projects. Completely different sector and business model from ACME's regular product manufacturing and sales.
- Azure Power India Pvt. Ltd.: An independent power producer in solar energy. Operates on long-term power purchase agreements with regulated tariffs. Entirely different industry renewable energy versus telecom equipment manufacturing.
| Issue | Amount | ITAT Ruling |
| Section 14A: Investment Expenses | ₹53.33 lakh | Remanded: Directed to Recalculate |
| Notional Interest on Advances | ₹37.88 lakh | Deleted: Company Wins |
| Loan Interest Rate (TP – LIBOR) | ₹11.02 crore | LIBOR applies: Company wins |
| Sales to AEs (TNMM Method) | ₹2.68 crore | Addition Upheld: Dept. Wins |
| Comparable Companies Excluded | - | Exclusions Upheld: Company wins |
| Interest on Receivables (TP) | - | Deletion Upheld: Company wins |
| 14A Add-back in MAT (115JB) | ₹53.33 lakh | Not Permitted: Company Wins |
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