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Income Tax - Highlights / Catch Notes

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TP Adjustment - Benchmarking of interest receivable on loan - ...


Court Finds No Adjustment Needed on Loan Interest Rate in Transfer Pricing Case Using CUP Method.

June 10, 2021

Case Laws     Income Tax     AT

TP Adjustment - Benchmarking of interest receivable on loan - when the assessee has charged higher interest on loan to subsidiary compared to the prevailing interest rate in the country in which the money is lent, CUP method undisputedly agreed by the parties as the most appropriate method, there is no reason to make any adjustment in the hands of the assessee on this count. Assessee has given comparable instances of the prevailing interest rate for short-term and long-term in Germany, which could not be disputed as a better comparable price. - AT

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