HomeNewsBusinessNetflix wins key transfer-pricing battle; ITAT sets clear benchmark for MNCs on LRD classification

Netflix wins key transfer-pricing battle; ITAT sets clear benchmark for MNCs on LRD classification

Verdict expected to bring tax clarity to MNCs operating under the Limited-Risk Distributor model across OTT, fashion, electronics and SaaS sectors

November 18, 2025 / 18:02 IST
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The tax department had argued that the company functioned as a “full-fledged business” in India
The tax department had argued that the company functioned as a “full-fledged business” in India

A wide spectrum of multinational corporations — from OTT platforms and luxury fashion houses to auto component makers and SaaS firms — stand to gain from a favourable transfer-pricing ruling secured by Netflix India last month.

The Income Tax Appellate Tribunal (ITAT), Mumbai, on October 17 set aside a Rs 445-crore transfer pricing adjustment imposed on Netflix India. The tax department had argued that the company functioned as a “full-fledged business” in India, creating and owning its content value chain and assuming entrepreneurial risks. Netflix India countered that it operated as a Limited-Risk Distributor (LRD), under which only a minimal, steady margin is taxed locally.

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Under transfer-pricing rules, a full-fledged entrepreneur must attribute a larger share of global profits to India, while LRDs — whose margins are contractually assured and who bear no inventory or market risks — face limited tax exposure.

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