GST Law Essentials: Streamlining Indirect Taxation for Business Growth – Understand the unified tax structure under GST for efficient compliance.
A. EXTENSION FOR FILING OF 45 COMPANY E-FORMS, PAS-03 & SPICE+ PART A *MCA General Circular No. 04/2023 Dtd. 21st February, 2023 – In continuation of General Circular No. 01/2023 dtd. 09th January, 2023 & General Circular No. 03/2023 dtd. 07th February, 2023, the MCA after taking into consideration the change in way of filing […]
Order passed without providing opportunity of personal hearing to assessee. Hence, violative of principles of natural justice. Held that, SCN was vague & cryptic in nature and orders passed were beyond scope of SCN.
Bombay High Court held that denial of cenvat credit to the telecom communication companies on towers used to rendering telecommunication service is sustained. However, duty demand of ineligible cenvat credit issued beyond the period of limitation as the issue was a debatable issue.
(FAQs) On Guidance framework on Sustainable and Sustainability linked lending by Financial Institutions (SL Framework) dated April 26, 2022
In recent years, climate change and sustainable development concerns have become a priority at global and national levels. There has been an increase in interest of stakeholders, including investors and financial regulators, in examining Environmental, Social and Governance (ESG)-related issues.
Consultation Paper on certain Amendments to SEBI (Issue of Capital and Disclosure Requirements) Regulations, 2018, with the objective of increasing transparency and streamlining certain processes.
Clarifying Warranty Provisions Deduction in IT Act, 1961 Navigate the complexities of claiming deductions for warranty provisions with legal insights.
Gujarat High Court held that interest under section 234B(2A) of the Income Tax Act is payable only on the balance additional tax payable after allowing credit of prepaid tax.
Bombay High Court held that order of Tribunal directed the designated authority to calculate the tax amount applying the ratio of Mohommad Haji Adam & Co case. Designated authority had only to calculate the disputed tax by giving effect to the orders of the Tribunal. Order of Tribunal was not directing fresh examination on any issue.