Section 40A(2) of Income Tax Act, 1961 deals with payments to relatives and associated persons.
It provides that where the assessee incurs any expenditure in respect of which payment is to be made to a specified person and the Assessing Officer is of the opinion that such expenditure is excessive or unreasonable having regard to the fair market value of the goods, services or facilities for which the payment is made or legitimate needs of the business or profession of the assessee or the benefit derived by or accruing to him therefrom, so much of the expenditure as is so considered by him to be excessive or unreasonable shall not be allowed as deduction.
For example if an assessee purchases goods from specified person for Rs.25,000 and debits the said amount in the Profit and Loss Account. But the fair market value of such goods is only Rs.20,000. This means, the assessee should have charged only Rs. 20,000 in the Profit and Loss A/c.
Therefore, according to section 40A(2) of Income Tax Act, 1961, excess amount of Rs.5,000 is to be added back to net profit while computing business income of the assessee.
Further transactions undertaken by the assessee with the below mentioned specified person which is treated as expenditure for the assessee, will be regarded as related party transactions and such transactions are required to be reported in clause 23 of FORM 3CD.
List of specified persons
If assessee is an individual
(Refer the meaning of relative and substantial interest at the end of the article)
Example – An individual assessee’s wife is entitled to share of profit@30% in a partnership firm. By virtue of this the said firm is to be treated as specified person of the individual assessee. The individual assessee purchases goods from the firm in the course of his business. The said transaction of purchase of goods is to be treated as related party transaction.
If assessee is a company
Example – An individual is holding shares carrying voting power of 25% in a company. By virtue of this individual and his relatives will be treated as specified person of the company. The said individual’s wife is rendering legal services to the company. The transaction of availment of legal services is to be treated as related party transaction.
Example – A company is using patented process for manufacture of goods for which royalty is required to be paid to a firm. The brother of the company’s director is the partner of the firm entitled to share of profit@50%. By virtue of this the firm is the specified person of the company and transaction involving payment of royalty is to be treated as related party transaction.
If assessee is the firm
If assessee is the HUF
If assessee is the AOP
All assessees
Example – Assessee is a company XYZ Ltd. A company ABC Ltd. is holding shares carrying voting power of 25% in XYZ Ltd. By virtue of this ABC Ltd. and its directors as well as relatives of such directors will be treated as specified person of XYZ Ltd. XYZ Ltd. is purchasing goods from ABC Ltd. The said transaction of purchase is to be treated as related party transaction
Example – Assessee is a company XYZ Ltd. A partnership firm M/s PQR holds shares carrying voting power of 22% in the assessee-company. By virtue of this, firm M/s PQR and all its partners as well as relatives of all partners will be treated as specified person of the assessee-company XYZ Ltd. XYZ Ltd. is incurring expenditure by way of rent for which payment is required to be made to an individual named as ‘P’ who is partner of M/s PQR. This transaction of rent is to be treated as related party transaction.
Example – An individual ‘A’ is entitled to 35% share of profit in assessee-firm M/s ABC. ‘A’ is also director in AD Ltd. By virtue of this, individual A and AD Ltd. are treated as specified person of assessee-firm M/s ABC Ltd. M/s ABC is availing professional services from AD Ltd. for which payment is required to be made to the company. The said transaction of professional services is to be treated as related party transaction
Example – An individual ‘C’ is a shareholder of an assessee-company DZ Ltd holding shares carrying voting power of 34%. C is also a partner in M/s ABC. By virtue of this, C and M/s ABC would be treated as specified person of assessee-company DZ Ltd. DZ Ltd. gets goods manufactured on job work basis from M/s ABC. The said transaction of job work is to be treated as related party transaction.
Defination of relative
Relative in relation to an individual means the spouse, brother or sister or any lineal ascendant or descendant of that individual.
Meaning of substantial interest in a business or profession
A person shall be deemed to have a substantial interest in business or profession if