Restriction of Input Tax Credit under Rule 86A applies only to fraudulently or ineligible availed credit; mere wrongful recipient availment is insuffi...
Business reorganisation requires recognition of successor's modified return; draft orders against dissolved transferor quashed and fresh review direct...
Transfer pricing adjustment on interest paid on compulsorily convertible debentures was held unsustainable where the TPO recharacterised the CCDs as equity and fixed the arm's length price of interest at nil. The Tribunal applied settled precedent that CCDs carrying stipulated interest cannot be treated as equity for this purpose, and that interest on such instruments cannot be disallowed merely because conversion into equity is contemplated later. It also relied on decisions allowing expenditure on issue of convertible debentures as revenue expenditure notwithstanding future conversion. The adjustment on account of interest expense on CCDs was therefore deleted.
Transfer pricing adjustment on interest paid on compulsorily convertible debentures was held unsustainable where the TPO recharacterised the CCDs as equity and fixed the arm's length price of interest at nil. The Tribunal applied settled precedent that CCDs carrying stipulated interest cannot be treated as equity for this purpose, and that interest on such instruments cannot be disallowed merely because conversion into equity is contemplated later. It also relied on decisions allowing expenditure on issue of convertible debentures as revenue expenditure notwithstanding future conversion. The adjustment on account of interest expense on CCDs was therefore deleted.
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