Tuesday, October 1, 2019

Difference between market price and face value of equity shares issued to AE couldn't be treated as deemed loan

TRANSFER PRICING : Where assessee Indian company issued equity shares to its non-resident AE at lower price than its fair market value, difference between market price and face value of equity shares could not be treated as deemed loan to AE and, thus, TP addition made on account of notional interest on such deemed loan was to be deleted

from www.taxmann.com Latest Case Laws https://ift.tt/2mtUVVY

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