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    <title>Clarification regarding taxability of the transaction of providing loan by an overseas affiliate to its Indian affiliate or by a person to a related person</title>
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    <description>The circular confirms that supply between related persons exists under the UPGST Act, but services of granting loans/advances where consideration is solely interest or discount are exempt under the notified entry. Processing, administrative, facilitation or loan granting charges distinct from interest constitute taxable consideration for supply of services and attract GST. Where no such additional fees are charged between related parties or affiliates, no separate taxable service arises and open market valuation is not applicable; any additional fees will be subject to GST.</description>
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      <title>Clarification regarding taxability of the transaction of providing loan by an overseas affiliate to its Indian affiliate or by a person to a related person</title>
      <link>https://www.taxtmi.com/circulars?id=69365</link>
      <description>The circular confirms that supply between related persons exists under the UPGST Act, but services of granting loans/advances where consideration is solely interest or discount are exempt under the notified entry. Processing, administrative, facilitation or loan granting charges distinct from interest constitute taxable consideration for supply of services and attract GST. Where no such additional fees are charged between related parties or affiliates, no separate taxable service arises and open market valuation is not applicable; any additional fees will be subject to GST.</description>
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      <pubDate>Fri, 05 Jul 2024 00:00:00 +0530</pubDate>
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