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    Burden of proof in penalty cases defeats cash-loan penalties based only on third-party seized papers
    Royalty and management support service adjustments fail where costs were recovered and aggregated TNMM benchmarking applied.
    Transfer pricing adjustments remanded for fresh review of intra-group services, sensor assembling method and comparables analysis
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      Dividend distribution tax paid on dividends to non-resident...

      Dividend distribution tax follows treaty rates for non-resident shareholders, with excess tax refundable after recomputation

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      Income TaxJune 8, 2026Case LawsAT
      Dividend distribution tax paid on dividends to non-resident shareholders is treated as tax on the shareholder's dividend income, so the more beneficial DTAA rate prevails over domestic law where applicable. The text notes that, following the Bombay High Court view in Colorcon Asia Pvt. Ltd., the assessee's claim for treaty-rate taxation of dividends paid to UK and Netherlands shareholders was accepted in principle. The matter was remitted only to determine the correct treaty rate under the relevant articles and to compute and refund any excess DDT.

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      ActsIncome Tax