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Sandeep Kanoi's Tax Guru

The blog is created to provide info to the Chartered
Accountants, Tax Professionals and other Accounts
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  • Updated 4 Years Ago

TP: Redeemable preference shares cannot be treated as equivalent to interest free loans & advances

Updated 5 Years Ago

TP: Redeemable Preference Shares Cannot Be Treated As Equivalent To Interest Free Loans & Advances
Transfer Pricing- No notional interest on transaction of purchase and sale of redeemable preference shares as it was not equivalent to interest free loans advan
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