Turkish thin cap rules treat excess related-party debt interest as non-deductible disguised profit distribution.
3:1 Ratio
Debt/equity from related parties.
Consequences
Interest non-deductible; treated as dividend.
Turkish thin cap rules treat excess related-party debt interest as non-deductible disguised profit distribution.
Debt/equity from related parties.
Interest non-deductible; treated as dividend.
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