<?xml version="1.0" encoding="UTF-8"?>
<?xml-stylesheet type="text/xsl" href="https://www.taxtmi.com/rss_sitemap/rss_feed_blog.xsl?v=1750492856"?>
<rss version="2.0" xmlns:atom="http://www.w3.org/2005/Atom">
  <channel>
    <title>Tax credit granted for Tega Industries restored for verification. Corporate guarantee with AE = international transaction. Corporate guarantee fee set at 0.5%.</title>
    <link>https://www.taxtmi.com/highlights?id=78738</link>
    <description>The ITAT, an Appellate Tribunal, addressed several key issues in the case. Firstly, a short grant of advance tax credit was challenged, leading to a decision to send the matter back to the ld. AO for verification. Secondly, a TP adjustment related to a corporate guarantee was deemed an international transaction under Section 92B. This decision was supported by a relevant court judgment. Finally, the calculation of the corporate guarantee fee was discussed, with a range of 0.2% to 0.5% considered justified based on precedent. The TPO was directed to compute the fee at 0.5% and delete any excess amount added to the assessee&#039;s income. Overall, the Tribunal partly allowed the assessee&#039;s grounds on these matters.</description>
    <language>en-us</language>
    <pubDate>Sat, 22 Jun 2024 08:36:44 +0530</pubDate>
    <lastBuildDate>Sat, 22 Jun 2024 08:36:44 +0530</lastBuildDate>
    <generator>TaxTMI RSS Generator</generator>
    <atom:link href="https://www.taxtmi.com/rss_feed_blog?id=757235" rel="self" type="application/rss+xml"/>
    <item>
      <title>Tax credit granted for Tega Industries restored for verification. Corporate guarantee with AE = international transaction. Corporate guarantee fee set at 0.5%.</title>
      <link>https://www.taxtmi.com/highlights?id=78738</link>
      <description>The ITAT, an Appellate Tribunal, addressed several key issues in the case. Firstly, a short grant of advance tax credit was challenged, leading to a decision to send the matter back to the ld. AO for verification. Secondly, a TP adjustment related to a corporate guarantee was deemed an international transaction under Section 92B. This decision was supported by a relevant court judgment. Finally, the calculation of the corporate guarantee fee was discussed, with a range of 0.2% to 0.5% considered justified based on precedent. The TPO was directed to compute the fee at 0.5% and delete any excess amount added to the assessee&#039;s income. Overall, the Tribunal partly allowed the assessee&#039;s grounds on these matters.</description>
      <category>Highlights</category>
      <law>Income Tax</law>
      <pubDate>Sat, 22 Jun 2024 08:36:44 +0530</pubDate>
      <guid isPermaLink="true">https://www.taxtmi.com/highlights?id=78738</guid>
    </item>
  </channel>
</rss>