Answers On Topic: .Conversion of Loan into Redeemable Preference Shares at Par
  Taxation on Conversion of Loan into Redeemable Preference Shares at Par
Company "A" has assigned the loan (a fully written-off loan account) to the NBFC in the year 2021 at a discounted value (lower value as compared to the original debt obligation). The loan was taken over by NBFC because NBFC is hope full of that it will recover the higher amount in the future. The Borrower against the loan (original debt) has allotted redeemable preference shares (RPS) of Rs 100/- each at par to the NBFC. The Borrower's net worth pre-allotment of RPS is negative. The query is  What will be the tax impact on NBFC when the loan is…


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