💳 Lending Clarity: Watsons Proves Arm’s Length is Deliverable
Extended Background
Retail MNEs need working capital, often sourced via intercompany loans. Watsons structured group financing based on actual third-party bank offers, defending this as market-standard. Malaysian revenue authorities, fearing base erosion, frequently challenged group loan rates as too low before recent financial transaction guidelines.
Detailed Arguments
Taxpayer
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Produced contemporaneous bank loan quotes and detailed risk assessments as the arm’s-length basis for their group loan rates.
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Defended full deductibility and economic rationale for the interest applied.
Revenue
- Attempted to force higher, “protective” rates despite lack of market comparables.
Court Reasoning
- Ruled for Watsons: market-based interest, properly documented, fulfills arm’s-length requirements.
Procedural Journey
- Dispute moved from audit to litigation, resolved in Watsons’ favor with full expense deductibility restored.
Implications Beyond the Case
- MNEs in Malaysia are now safer using actual loan offers and risk data—statistical “rate padding” by tax authorities is less defendable.
Original Case Link:
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