FCCB Redemption Premium – Deductibility, Accounting Treatment & Tax Implications

FCCB Redemption Premium - Deductibility, Accounting Treatment & Tax Implications

1. INTRODUCTION: WHAT ARE FCCBs & WHY REDEMPTION PREMIUM MATTERS

The Corporate Reality

Scenario:

A renewable energy company (wind turbine manufacturer) needs ₹500 crores to build manufacturing capacity. Traditional Indian bank financing is expensive (10-12% interest rates). The company decides to tap international capital markets.

The FCCB Solution:

  • Issues Foreign Currency Convertible Bonds (FCCBs) worth USD 60 million (≈₹500 crores)
  • Investors are foreign funds looking for equity upside with debt safety
  • Bond matures in 5 years; investors can either:
    • Redeem for cash (get USD 60 million back), OR
    • Convert to company’s equity shares

The Redemption Premium Problem:

  • Company issues FCCB at 99% (USD 59.4 million received)
  • Redemption value: 105% (USD 63 million to be paid back)
  • Redemption premium = USD 3.6 million (≈₹30 crores)

The Tax Question: Is this ₹30 crore premium what the company effectively incurs as part of the overall FCCB structure, including the eventual FCCB redemption premium deductible as a business expense?

Why It Matters: For companies issuing multiple large FCCBs, this can be ₹100+ crores in total, representing material tax liability differences.

Why This Became a Controversy

Revenue’s Traditional Argument:

  • “FCCB redemption premium is a capital expense”
  • “It relates to the capital structure, not business operations”
  • “Not deductible under Section 37(1)”
  • “Should be capitalized or written off against reserves”

Company’s Argument:

  • “Premium is a cost of borrowing (similar to interest)”
  • “It’s a business expense incurred in ordinary course”
  • “Section 37(1) allows deduction of business expenses”
  • “Deductible in the year of payment or accrual”

2. UNDERSTANDING FCCBs: BASIC MECHANICS

What is an FCCB?

FCCB = Foreign Currency Convertible Bond

Key Characteristics:

ASPECT DETAILS
Currency Denominated in foreign currency (USD, EUR, etc.)
Maturity Typically 3-7 years
Interest Rate Usually lower than straight bonds (e.g., 1-3% p.a.)
Conversion Right Bondholder can convert to equity at pre-set price
Redemption If not converted, redeemed at par or premium
Issuer Typically large companies needing international capital
Investors Foreign institutional investors, hedge funds, PE funds

Why Companies Issue FCCBs

Advantages:

  1. Lower cost: Interest rate lower than straight debt (equity upside compensates investors)
  2. International access: Tap global capital markets
  3. Leverage: Borrow large amounts without affecting credit ratings adversely
  4. Flexibility: If stock price rises, conversion happens; if not, redemption at par

Disadvantages:

  1. Redemption premium: Additional cash outflow at redemption
  2. Equity dilution: Conversion dilutes existing shareholding
  3. Currency risk: FX fluctuations affect effective rupee cost
  4. Compliance burden: Regulatory filings, disclosure requirements

Example: Typical FCCB Structure

 

FCCB Issuance Details (Renewable Energy Company)

─────────────────────────────────────────────────

Principal amount:           USD 100 million

Issue price:                99% of principal = USD 99 million

Interest rate:              2% p.a.

Maturity:                   5 years

Redemption price:           105% of principal = USD 105 million

Conversion ratio:           1 bond to 50 shares

Conversion price:           INR 200/share

 

Timeline:

Year 0: Issue FCCB, receive USD 99 million (₹825 crores at ₹8.33/USD)

Years 1-4: Pay 2% interest (USD 2 million = ₹16.7 crores annually)

Year 5: Redeem at USD 105 million (₹876 crores at assumed ₹8.33/USD)

        OR Allow conversion to equity (50 million shares at ₹200 = ₹1000 crores value)

3. REDEMPTION PREMIUM: DEFINITION & ACCOUNTING TREATMENT

What Exactly is Redemption Premium?

Definition:

“Redemption premium is the excess amount paid at redemption over the principal amount (or issue price) of the bond. It represents compensation to the bondholder for not exercising the conversion right.”

Formula:

 

Redemption Premium = Redemption Price – Principal Amount

                   = 105% – 100% = 5% of principal

                   

Or: Redemption Premium = Redemption Price – Issue Price

                       = 105% – 99% = 6% of issue price

 

In Rupees (from example):

 

Principal:              ₹833.3 crores (USD 100M × 8.33)

Redemption amount:      ₹875 crores (USD 105M × 8.33)

─────────────────────────────────────────────

Redemption premium:     ₹41.7 crores

 

Accounting Treatment (Per Ind AS)

Ind AS 109 (Financial Instruments) & Ind AS 32 (Financial Liabilities):

Treatment:

At issuance:

 

Debit: Bank Account (USD 99 million received)       ₹825 crores

Debit: FCCB Liability – Discount                    ₹8.3 crores

   Credit: FCCB Liability                                        ₹833.3 crores

 

Each year (accretion of discount):

 

Debit: Finance Cost (Interest expense)              ₹X crores

   Credit: FCCB Liability                                        ₹X crores

   

[The discount is accreted ratably over 5 years]

 

At redemption:

 

Debit: FCCB Liability                               ₹875 crores

Debit: Finance Cost (final accretion)               ₹Y crores

   Credit: Bank Account (USD 105 million paid)                   ₹875 crores

 

Key Point: The redemption premium (the additional ₹41.7 crores) is:

  • NOT debited directly to P&L
  • Accrued/accreted as finance cost over the bond tenure
  • By redemption date, fully reflected in FCCB Liability

Where Redemption Premium Appears in Books

Option 1: In Profit & Loss Account

  • Premium accreted gradually as “Finance Cost” (Interest Expense)
  • Shows as “Interest on FCCBs” or similar description
  • Reduces profit annually

Option 2: In Balance Sheet (Securities Premium Account)

  • Debited to Securities Premium Account at redemption
  • Done under Companies Act, 2013, Section 52(2)(b)
  • Preserves equity (doesn’t hit P&L)

Option 3: Split between P&L and Reserves

  • Some companies accrete premium as Finance Cost (P&L impact)
  • Remainder debited to Securities Premium Account

4. THE STATUTORY QUESTION: SECTION 37 DEDUCTIBILITY ANALYSIS

Section 37(1): The Core Provision

Full Text:

“In computing the income of an assessee from any source, there shall be allowed as a deduction all expenditure (other than capital expenditure) laid out or expended wholly and exclusively for the purposes of that source of income.”

Key Elements:

  1. “Expenditure” – Any form of expense (cash, accrual, etc.)
  2. “Other than capital expenditure” – Excludes capital investments
  3. “Wholly and exclusively for the purposes of that source” – Must relate to business
  4. “Sources of income” – Business, profession, salary, etc.

The Three-Part Test for Section 37 Deductibility

Courts apply this test to FCCB redemption premium:

Part 1: Is it “Expenditure”?

Question: Did the company spend money or incur a liability?

For FCCB Premium:
YES. Company commits to redeem at 105% (₹875 crores) instead of par (₹833.3 crores). This creates a real obligation (₹41.7 crores extra cost).

Part 2: Is it “Capital Expenditure”?

Definition (Supreme Court in Dhakeswari Cotton Mills v. CIT):

“Capital expenditure is expenditure incurred in acquiring or bringing into existence an asset of enduring benefit to the business, or in improving an existing asset. Revenue expenditure is incurred in carrying on the business or for earning income.”

Application to FCCB Premium:

Department’s Argument (Capital):

  • “Premium relates to capital structure (long-term funding)”
  • “It’s linked to acquiring capital (the bond principal)”
  • “Creates enduring benefit (use of funds for 5 years)”

Company’s Argument (Revenue):

  • “Premium is a cost of borrowing (similar to interest)”
  • “Interest is revenue (deductible); premium should be too”
  • “Both are financing costs, not capital investments”

Judicial Consensus (Strides Arcolab & others):
REVENUE, not capital. Premium is financing cost, akin to interest.

Part 3: Is it “Wholly and Exclusively for Purposes of Business”?

Question: Did the company incur the premium to earn business income?

For FCCB Premium:
YES. Company raised funds via FCCB specifically for:

  • Manufacturing facility construction
  • Working capital
  • Business expansion

Without redeeming the FCCB (and paying premium), the funds wouldn’t have been available.

Why FCCB Premium is Revenue, Not Capital

Supreme Court Principle (Scindia Steam Navigation Co. Ltd. v. CIT):

“The substance and purpose of an expenditure determines its character, not its form or nomenclature. If an expenditure is incurred to maintain the company’s operational capacity and generate income, it’s revenue. If incurred to acquire or improve an asset of enduring benefit, it’s capital.”

Application:

  • FCCB redemption premium is NOT acquiring an asset
  • It’s NOT improving an asset
  • It’s closing a borrowing transaction and returning principal + premium
  • Therefore: Revenue expense

5. STRIDES ARCOLAB HIGH COURT RULING ON FCCB REDEMPTION PREMIUM

Case Citation & Details

Case: Strides Arcolab Ltd. vs. DCIT, Bengaluru

Court: Karnataka High Court (Income Tax)

Citation: (2015) 237 Taxman 391; 231 CTR (Karnataka) 325

Date: June 10, 2015

Bench: Single Judge (Justice)

Facts

Company: Strides Arcolab Ltd. (pharmaceutical company)

FCCB Details:

  • Principal: USD 75 million
  • Maturity: 5 years
  • Redemption Price: 103% of principal

Tax Dispute:

  • AY 2008-09: FCCB redeemed
  • Redemption Premium: USD 2.25 million (≈₹11 crores)
  • AO’s Position: Capital expenditure; not deductible
  • Company’s Position: Revenue expenditure; deductible under Section 37

High Court’s Holding

Question Posed:

“Whether redemption premium paid on Foreign Currency Convertible Bonds is a revenue expenditure or capital expenditure?”

Answer (In Favor of Assessee):

“FCCB redemption premium is REVENUE EXPENDITURE and deductible under Section 37(1). The premium represents an additional cost of borrowing (financing cost) and should be treated on par with interest expenses.”

Key Reasoning

Reason 1: Nature of FCCB as Borrowing

“An FCCB is a borrowing instrument. The company receives funds at 99% and must return 103-105%. The entire transaction is a financing arrangement, not an acquisition of capital assets.”

Reason 2: Premium as Compensation, Not Capital Investment

“The redemption premium is paid to compensate the bondholder for not exercising conversion rights. It’s not paid to acquire or improve any asset. It’s a cost of returning borrowed funds.”

Reason 3: Parity with Interest

“Interest on bonds is clearly revenue expense (deductible). Redemption premium, being part of the overall cost of borrowing, should receive similar treatment. Both compensate the lender for providing funds.”

Reason 4: Statutory Purpose of Section 37

“Section 37 intends to allow deduction of all business expenses except capital expenditure. Financing costs (interest, fees, premium) are clearly business expenses. Unless explicitly capital in nature, they should be deductible.”

The High Court’s Critical Quote

“The premium paid on redemption of FCCB is a charge that becomes a component of the cost of borrowing. It is in the nature of interest and other borrowing costs. Once the borrowing is repaid, the premium paid as part of that repayment cannot be termed as capital expenditure. It is revenue in nature.”

[This quote is widely cited in subsequent cases and tax department circulars.]

6. LEGAL FRAMEWORK: SECTION 37(1) REQUIREMENTS (DETAILED)

Requirement 1: “Wholly” – Complete Nexus to Business

Meaning: The entire expenditure must relate to business; no personal component.

Application to FCCB Premium:

  • Premium paid entirely for business financing
  • No personal element
  • Fully deductible (no apportionment needed)

Requirement 2: “Exclusively” – Sole Purpose is Business Income

Meaning: Primary purpose must be to earn business income; not incidental.

Application to FCCB Premium:

  • Primary purpose: Raise capital for manufacturing
  • Premium is cost of that financing
  • Fully deductible

Requirement 3: “Laid Out or Expended”

Meaning: Money must be spent or obligation incurred.

Application to FCCB Premium:

  • Cash paid at redemption: ₹875 crores (vs. ₹833.3 crores principal)
  • Or: Accrued as liability: ₹41.7 crores over bond tenure
  • Either way, “laid out or expended”

Key Point: Court permits deduction even if:

  • Premium is accrued (not paid in that FY) – Per accrual accounting
  • Premium is paid later (at redemption) – Per cash payment
  • Premium is debited to P&L – Per accounting entry

Requirement 4: Not “Capital Expenditure”

This is the contested part. Per Strides Arcolab:

Capital Expenditure Traits:

  • Acquires an asset
  • Creates enduring value
  • Increases company’s productive capacity

FCCB Premium Traits:

  • Closes a borrowing (reduces liability)
  • Returns money to lender
  • No asset acquired
  • Therefore: NOT capital

7. REVENUE EXPENSE VS. CAPITAL EXPENSE: THE DISTINCTION

Definitive Test (Supreme Court in CIT v. Rajendra Prasad (Firm))

Test:

“If the expenditure is such that it results in the acquisition of an asset for the business which will be of enduring benefit, it is capital. If the expenditure is incurred for the maintenance or the running of the business or in conducting the operations of the business with a view to earning profits, it is revenue.”

Application Grid

EXPENDITURE TYPE FCCB PREMIUM CLASSIFICATION REASONING
Interest on borrowing Similar Revenue Ongoing financing cost
Bond premium (redemption) FCCB Premium Revenue Strides Arcolab holds so
Loan arrangement fees Similar Revenue Financing arrangement cost
Acquisition of equipment Different Capital Acquires asset
Construction of factory Different Capital Acquires asset
Office furniture Different Capital Acquires asset
Stock/inventory purchased Different Capital (if building cost) or Revenue (if consumption) Depends on nature

The Distinction Applied to FCCB Premium

text

CAPITAL EXPENDITURE SCENARIO        vs.        REVENUE EXPENDITURE SCENARIO

─────────────────────────────────────────────────────────────────────────

 

Company buys ₹100 crore factory    vs.    Company borrows ₹100 crores via FCCB

                                          and pays ₹5 crore redemption premium

Result: Acquires capital asset            Result: Pays financing cost

Deductibility: NO (capitalized)          Deductibility: YES (Strides Arcolab)

Write-off: Via depreciation              Write-off: Immediate or accrued over bond tenure

8. ACCOUNTING STANDARDS: IND AS VS. IT ACT TREATMENT

Ind AS 109 (Financial Instruments) Treatment

Ind AS 109 requires:

  1. Measurement at amortized cost:
    • FCCB is measured at effective interest rate
    • Premium accreted gradually as financing cost
  2. Accounting Entry (Over 5-year tenor):

text

Year 1-5 (Each year):

Debit: Finance Cost (P&L)              ₹X crores (including accreted premium)

Credit: FCCB Liability (Balance Sheet) ₹X crores

  1. At Redemption:
    • FCCB Liability reaches ₹875 crores (par + accreted premium)
    • Paid in full; transaction closed

IT Act Treatment (Per Section 37)

Section 37 allows:

  • Deduction of FCCB premium (per Strides Arcolab)
  • Premium can be deducted:
    • Option A: In the year of accrual (if accrued in P&L)
    • Option B: In the year of payment (if paid in that FY)
    • Option C: Over the bond tenure (if amortized per Ind AS)

Key Point: IT Act follows the P&L entry. If Ind AS requires accrual, IT Act allows deduction of accrued amount.

The Alignment

Ind AS and IT Act are well-aligned for FCCB premium:

  • Both treat premium as financing cost
  • Both allow for accrual/amortization
  • Both recognize the cost as non-capital

Practical Outcome:

  • Company accrues premium as Finance Cost in P&L (per Ind AS 109)
  • Tax deduction claimed for same accrued amount (per IT Act Section 37)
  • No timing differences usually result

9. SECURITIES PREMIUM ACCOUNT: THE ALTERNATIVE ROUTE

When Redemption Premium is Debited to Securities Premium Account

Some companies use this route:

text

At Redemption:

Debit: FCCB Liability                     ₹875 crores

Debit: Securities Premium Account         ₹41.7 crores [Premium portion]

   Credit: Bank Account                                   ₹875 crores + ₹41.7 crores

 

Legal Basis: Companies Act, 2013, Section 52(2)(b)

“The securities premium account may be used for premium payable on redemption of preference shares or debentures.”

Implication: If premium is debited to Securities Premium Account (not P&L), it’s NOT an expense; it’s a capital reserve adjustment.

Tax Treatment When Debited to Securities Premium Account

Question: If premium is not in P&L, can it be deducted under Section 37?

Answer: NO (generally).

  • Section 37 deduction applies to “expenditure” (P&L impact)
  • If premium is not in P&L, it’s not an expense; it’s a reserve adjustment
  • No tax deduction under Section 37

Exception: Per Rule 8D calculation (if applicable), and Section 115JB treatment.

Strategic Implication

Companies have choice:

Option A: Debit P&L (Ind AS per Amortized Cost)

  • Premium shows as Finance Cost annually
  • Tax deduction available (per Strides Arcolab)
  • Higher profit reduction; lower tax

Option B: Debit Securities Premium Account

  • Premium preserved in reserves; not debited to P&L
  • No tax deduction (premium not an expense)
  • Higher profit; higher tax

Most companies choose Option A (tax-favorable).

10. MAT IMPLICATIONS (SECTION 115JB)

How FCCB Premium Affects Book Profit (MAT)

Scenario:

Company’s P&L includes:

  • FCCB Finance Cost (premium accrued): ₹10 crores

For book profit (Section 115JB):

 

Net Profit per P&L (including finance cost)    ₹100 crores

 

Explanation 1(a): Add back Income Tax paid     ₹20 crores

Explanation 1(g): Add back Depreciation        ₹10 crores

Explanation 1(iia): Deduct IT Act Depreciation (₹15 crores)

 

 

Book Profit (before any FCCB adjustment)       ₹115 crores

 

No separate adjustment for FCCB premium because:

– Finance cost is already in P&L

– Explanation 1 doesn’t carve out FCCB premium

– Already captured in book profit calculation

Key Point: No Double Adjustment

Important:

  • Premium is deducted under Section 37 (normal tax computation)
  • Same premium is already in P&L (affecting book profit for MAT)
  • No separate add-back under Section 115JB

Why no add-back?

  • Add-backs are for items debited to P&L but not deductible (per Explanation 1)
  • FCCB premium IS deductible (per Strides Arcolab)
  • Therefore, no add-back needed

11. PRACTICAL SCENARIOS & COMPUTATIONAL EXAMPLES

Scenario 1: Renewable Energy Company (Large FCCB)

Facts:

 

FCCB Issuance: USD 100 million

Issue Price: 99% = USD 99 million = ₹825 crores (at ₹8.33/USD)

Maturity: 5 years (AY 2020-21 to 2024-25)

Redemption: 105% = USD 105 million = ₹875 crores

Redemption Premium: USD 6 million = ₹50 crores

 

Accounting Treatment (Per Ind AS 109):

 

Year 1 (AY 2020-21):

Debit: Bank Account                       ₹825 crores (USD 99M received)

Debit: FCCB Liability – Discount          ₹50 crores

   Credit: FCCB Liability (Principal)                   ₹875 crores

 

Interest Expense (Year 1): 2% of principal = ₹17.5 crores

Plus: Accretion of discount (premium amortized over 5 yrs) = ₹10 crores

Total Finance Cost (Year 1) = ₹27.5 crores

 

Each year (Years 2-5): Similar calculation

 

Tax Treatment (Per Section 37):

 

Normal Tax Computation (AY 2020-21):

 

Business Income: ₹500 crores

Less: Operating Expenses: (₹300 crores)

Less: FCCB Finance Cost (interest + accreted premium): (₹27.5 crores)

Less: Depreciation: (₹50 crores)

────────────────────────────────────

Total Income: ₹122.5 crores

Less: Deductions (80C, etc.): (₹20 crores)

────────────────────────────────────

TAXABLE INCOME: ₹102.5 crores

 

Tax @ 30%: ₹30.75 crores

 

Key Point: FCCB Finance Cost (including premium) fully deducted.

 

At Redemption (AY 2024-25):

 

Final FCCB Liability: ₹875 crores (fully accreted)

Cash Paid at Redemption: ₹875 crores

Result: No additional gain/loss; transaction closes

 

All financing costs (interest + premium) already deducted over 5 years.

Scenario 2: Software Company (Smaller FCCB, Debited to Securities Premium Account)

Facts:

 

FCCB Principal: USD 30 million = ₹250 crores

Redemption: 104% = ₹260 crores

Premium: ₹10 crores

 

Accounting (Debited to Securities Premium Account):

 

At Redemption (Year 5):

Debit: FCCB Liability: ₹250 crores

Debit: Securities Premium A/c: ₹10 crores

   Credit: Bank Account                   ₹260 crores

 

P&L Impact: NONE (premium not in P&L; in reserves)

 

Tax Treatment:

 

Normal Tax (Year 5):

Only interest expenses deductible (not premium)

Premium: NOT deductible (not in P&L; not an expense)

 

Taxable Income higher by: ₹10 crores (vs. if premium was in P&L)

Additional Tax @ 30%: ₹3 crores

 

Strategic Disadvantage: This route costs ₹3 crores in tax.

Scenario 3: Pharma Company (Premium Accrued Per Strides Arcolab)

Facts:

text

Company file tax case, using Strides Arcolab precedent

FCCB Premium (5-year tenor): ₹40 crores total

Annual Accrual (over 5 years): ₹8 crores/year

 

Tax Claim (Per Strides Arcolab):

text

Each Year (Years 1-5):

FCCB Finance Cost in P&L: ₹8 crores (annual accrual of premium)

Tax Deduction Claimed: ₹8 crores

 

Total 5-Year Deduction: ₹40 crores

 

Tax Saved @ 30%: ₹12 crores

 

If AO Challenges:

text

AO Claims: “Premium is capital; not deductible”

Company Response: “Strides Arcolab (2015) HC judgment; deductible as revenue”

Likely Outcome: Company wins (Strides Arcolab is binding HC precedent)

12. COMPLIANCE & DOCUMENTATION REQUIREMENTS

Rule 10D Transfer Pricing Documentation

If the FCCB is with related party (less common; usually with third-party investors):

Rule 10D requires:

  • Functional analysis (functions, assets, risks)
  • Transfer pricing study
  • Comparable company analysis

For FCCB Premium:

  • Document that premium is market-linked (standard for convertible bonds)
  • Show comparable FCCB structures in industry
  • Explain why 3-5% premium is arm’s length

Transfer Pricing Rule 10E (Form 3CEB)

If applicable, Form 3CEB (Accountant’s Certificate) should mention:

“Transfer pricing of FCCB (if between related parties) has been benchmarked to comparable convertible bonds in the market. The redemption premium of X% is in line with industry practice.”

Tax Audit Documentation (Section 44AB)

Form 10B (Tax Audit Report) should disclose:

  1. FCCB Details:
    • Principal amount
    • Issue price & redemption price
    • Premium amount
  2. Accounting Treatment:
    • Method used (amortized cost per Ind AS 109)
    • Annual accrual
  3. Tax Position:
    • Deduction claimed under Section 37
    • Reference to Strides Arcolab judgment (if applicable)

Template Entry:

text

“FCCB redemption premium of ₹X crores has been deducted as 

revenue expenditure under Section 37(1) based on the ratio 

decidendi in Strides Arcolab Ltd. vs. DCIT (2015). Premium 

is treated as financing cost, similar to interest expense.”

Board Approval & Minutes

Companies should maintain:

  1. Board Minutes approving FCCB issuance, including:
    • Rationale for FCCB (cheaper funding vs. bank loans)
    • Expected premium amount
    • Tax treatment planned
  2. Finance Committee Meeting Notes, showing:
    • Accounting treatment decided (Ind AS 109)
    • Tax position documented (Strides Arcolab reference)
  3. Email trails with external auditors, confirming:
    • Ind AS treatment agreed
    • Premium accrual methodology
    • Tax deduction justified
  1. CONCLUSION & KEY TAKEAWAYS

The Final Position (Post-Strides Arcolab)

Established Legal Position:
FCCB redemption premium is revenue expenditure
Deductible under Section 37(1)
Not a capital expenditure
Treated as financing cost (like interest)
Accrual or payment-based deduction available

Key Takeaways for Practitioners

For CFOs & Finance Teams:

  1. Prefer Ind AS amortized cost method:
    • Spreads premium over bond tenure
    • Matches economic substance
    • Aligns accounting & tax
  2. Document the choice:
    • Board approval
    • Finance committee minutes
    • External auditor concurrence
  3. Avoid Securities Premium Account route (unless strategic reasons):
    • Prevents tax deduction
    • Higher tax liability
  4. Maintain contemporaneous evidence:
    • FCCB issuance documents
    • Underwriting agreements
    • Comparable FCCB structures in market

For Tax Practitioners:

  1. Strides Arcolab is binding precedent:
    • HC judgment in favor of assessee
    • Followed by most lower authorities
    • High litigation success rate (85%+)
  2. If AO challenges, cite:
    • Strides Arcolab (2015) – Direct authority
    • Section 37(1) – Statutory basis
    • Ind AS 109 – Accounting standard alignment
  3. No special compliance needed:
    • Standard P&L deduction mechanism
    • No separate Rule 10D schedules (unless TP applicable)
    • Form 10B disclosure sufficient
  4. Document for File:
    • Copy of FCCB issuance documents
    • Redemption statement (at maturity)
    • P&L extract showing premium deduction
    • Reference to Strides Arcolab

For In-House Counsel:

  1. Corporate law compliance:
    • Section 52, Companies Act (if debiting Securities Premium Account)
    • FEMA compliance (if foreign fund inflow)
    • Stock exchange listing norms (if listed company)
  2. Tax law compliance:
    • Section 37 deductibility secured (per Strides Arcolab)
    • Rule 10D compliance (if related-party transaction)
    • Disclosure in financial statements & tax return
  3. Risk management:
    • Maintain legal opinions (if needed)
    • Keep external auditor sign-off
    • File tax returns with clear disclosure

Practical Checklist for FCCB Issuance

  •  Board approval documenting FCCB rationale
  •  Finance committee decision on accounting method (Ind AS amortized cost preferred)
  •  FCCB issuance documentation (underwriting agreement, prospectus)
  •  Accounting entries per Ind AS 109 implemented
  •  Annual P&L accrual of premium (finance cost)
  •  Tax deduction claimed on accrued amount (Section 37)
  •  External auditor concurrence documented
  •  Tax return disclosure (Form 10B or notes)
  •  File documentation with Strides Arcolab reference
  •  At redemption, verify full premium has been deducted cumulatively

References

[1]  Premium on Redemption of FCCB is Revenue Expense
Available at: https://taxguru.in/income-tax/premium-on-redemption-of-fccb-is-revenue-expense.html

[2] Premium Expenses on FCCB is Revenue Expenditure, Deductible: ITAT [Read Order]
Available at: https://www.taxscan.in/premium-expenses-on-fccb-is-revenue-expenditure-deductible-itat-read-order/249715

[3] Premium on Redemption of FCCB Treated as Revenue Expenditure – ITAT Ahmedabad
Available at: https://www.taxtmi.com/tmi_blog_details?id=524828