Tag Archives: IDFC Ltd.

Liquidated damages, underwriting commission, structuring fees qualify as tax-exempt interest, and Section 36 deductions operate independently.

By | August 7, 2026

Liquidated damages, underwriting commission, structuring fees qualify as tax-exempt interest, and Section 36 deductions operate independently. Issue Whether liquidated damages, underwriting commission, and structuring fees earned by an infrastructure financial institution qualify as exempt “interest” under Section 10(23G) of the Income-tax Act, 1961. Whether deductions claimed under Section 36(1)(viia)(c) and Section 36(1)(viii) operate independently without… Read More »