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ITAT addressed multiple issues in a transfer pricing and tax ...


Transfer Pricing: Interest-Free Loans, Corporate Guarantees, and Section 80G Deductions Under Review.

January 23, 2025

Case Laws     Income Tax     AT

ITAT addressed multiple issues in a transfer pricing and tax deduction appeal. On interest-free loans to AE, the matter was remanded for verification of surplus funds and nexus with borrowed loans. Corporate guarantee fee was benchmarked at 0.5%. Depreciation on leasehold property rights was remitted following Madras HC precedent. Section 80G deduction for CSR expenses was remanded for de novo consideration. Section 14A disallowance was directed to consider only investments yielding exempt income. TP adjustment on debenture interest was to be benchmarked based on comparable international transactions at 1.76% rather than domestic rates. The appeal was partly allowed with specific directions for reassessment of each issue according to prescribed parameters.

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