COURT: | Bombay High Court |
CORAM: | M. S. Sanklecha J, Mohit Shah CJ |
SECTION(S): | 92CA |
GENRE: | Transfer Pricing |
CATCH WORDS: | share premium, Transfer Pricing |
COUNSEL: | Harish Salve |
DATE: | October 10, 2014 (Date of pronouncement) |
DATE: | October 10, 2014 (Date of publication) |
AY: | |
FILE: | Click here to view full post with file download link |
CITATION: | |
Neither the capital receipts received by the Petitioner on issue of equity shares to its holding company, a non-resident entity, nor the alleged short-fall between the so called fair market price of its equity shares and the issue price of the equity shares can be considered as income within the meaning of the expression as defined under the Act. |
The assessee, an Indian company, issued equity shares at the premium of Rs.8591 per share aggregating Rs.246.38 crores to its holding company. Though the transaction was reported as an “international transaction” in Form 3 CEB, the assessee claimed that the …
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