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    <title>ITAT Rules Favorably on Corporate Guarantee and Brand Royalty in Transfer Pricing Dispute.</title>
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    <description>TP Adjustment - assessee has issued the corporate guarantee on behalf of AE’s - interest saved approach - The ITAT decided in favor of the assessee, directing the AO to restrict the addition by splitting the interest benefit on a 50:50 basis between the guarantor and the borrower. It was noted that earlier years&#039; tribunals had accepted a splitting of the interest savings as a reasonable approach. - With regard to Royalty, the ITAT allowed the assessee&#039;s grounds concerning TP adjustments related to the charge of brand royalty, following earlier tribunal decisions that set specific rates for such royalties.</description>
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    <pubDate>Thu, 21 Mar 2024 09:23:46 +0530</pubDate>
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      <title>ITAT Rules Favorably on Corporate Guarantee and Brand Royalty in Transfer Pricing Dispute.</title>
      <link>https://www.taxtmi.com/highlights?id=75923</link>
      <description>TP Adjustment - assessee has issued the corporate guarantee on behalf of AE’s - interest saved approach - The ITAT decided in favor of the assessee, directing the AO to restrict the addition by splitting the interest benefit on a 50:50 basis between the guarantor and the borrower. It was noted that earlier years&#039; tribunals had accepted a splitting of the interest savings as a reasonable approach. - With regard to Royalty, the ITAT allowed the assessee&#039;s grounds concerning TP adjustments related to the charge of brand royalty, following earlier tribunal decisions that set specific rates for such royalties.</description>
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