Consequences of impermissible avoidance arrangement.
X X X X Extracts X X X X
X X X X Extracts X X X X
....t under a tax treaty, shall be determined, in such manner as is deemed appropriate, in the circumstances of the case, including by way of but not limited to the following, namely:- (a) disregarding, combining or recharacterising any step in, or a part or whole of, the impermissible avoidance arrangement; (b) treating the impermissible avoidance arrangement as if it had not been entered into or....
X X X X Extracts X X X X
X X X X Extracts X X X X
....arrangement by disregarding any corporate structure. (2) For the purposes of sub-section (1),- (i) any equity may be treated as debt or vice versa; (ii) any accrual, or receipt, of a capital nature may be treated as of revenue nature or vice versa; or (iii) any expenditure, deduction, relief or rebate may be recharacterised.] *************** NOTES:- 1. Omitted vid....
X X X X Extracts X X X X
X X X X Extracts X X X X
....arrangement is declared to be an impermissible avoidance arrangement, then the consequences, in relation to tax, of the arrangement, including denial of tax benefit or a benefit under a tax treaty, shall be determined, in such manner as is deemed appropriate, in the circumstances of the case, including by way of but not limited to the following, namely:- (a) disregarding, combining or recharacte....