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  1. Jun 4, 2020 · Safe Harbour Rules (SHR), introduced by the Central Board of Direct Taxes (CBDT) in the year 2009, provides for circumstances in which a certain category of taxpayers can follow a simple set of rules under which transfer prices are automatically accepted by the revenue authorities.

  2. Apr 10, 2022 · benefits of safe harbor rules in india- to the taxpayers and revenue authorities: 1. Advance information or knowledge about the range of profits or prices to qualify for SHR.

  3. Aug 9, 2023 · Read how CBDT's Notification No. 58/2023 amends Income-tax Rules, extending Safe Harbour rules to AY 2023-24. Insights from Ministry of Finance, New Delhi.

  4. However, the safe harbour programme received a tepid response from taxpayers in India, due to perceived high margins and ambiguity in the classification of services. The CBDT has now, vide a notification2 dated 7 June 2017, revised the existing safe harbour rules in India.

  5. Background: The Central Board of Direct Taxes (CBDT) issued a gazette notification on 20 May 2020, to specify the safe harbour rates applicable for FY 2019-20, for determining arm’s length rates for certain specified international transactions.

  6. Jul 30, 2023 · An overview of transfer pricing rules in India and who to contact for expert guidance.

  7. Safe harbour rules’ means circumstances in which the income tax authorities shall accept the transfer price declared by the taxpayer.

  8. Tax alert: Safe Harbour rules amended to streamline intra group financing arrangements with global standards. 21 December 2023 . Unveiling India's latest Safe Harbour amendments: Revised intra-group loan rules and new interest rate benchmarks. In a nutshell. Revised intra group Loan. Interest Rate Reform: Credit Rating Clarification: Definitions:

  9. Safe harbours are defined to mean those circumstances in which the income-tax authorities shall accept the transfer price declared by the taxpayer.

  10. A “safe harbor” is defined in the Indian Income Tax Law (ITL) as circumstances under which the tax authorities will accept the transfer price declared by the taxpayer.

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