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Archive: 28 December 2024

Posts in 28 December 2024

Section 292BB cannot cure non-issuance of notice u/s. 143(2): Delhi HC

December 28, 2024 1539 Views 0 comment Print

Delhi High Court held that non-issuance of notice under section 143(2) of the Income Tax Act is in grave contradiction to section 292BB of the Income Tax Act. Accordingly, revenue appeal dismissed.

Profits from Sale of Jaggery is Taxable under Tamil Nadu Sales Tax: Madras HC

December 28, 2024 999 Views 0 comment Print

In a recent ruling Madras HC decided the issue in favour of revenue that the essential characteristic of sugarcane in its original form, stands converted after processing, into jaggery and both the commodities are different and distinct from one another.

Stock purchased through proper platform, genuineness can not be doubted without evidence-ITAT Mumbai

December 28, 2024 639 Views 0 comment Print

In a recent ruling ITAT Mumbai have held that genuineness of sale and purchase of share through stock exchange platform, can not be doubted if AO failed to establish link between assesssee and report of investigation wing.

Approval u/s 153D is mandatory, even if it is second round assessment: ITAT Delhi

December 28, 2024 354 Views 0 comment Print

ITAT passed ex-parte order in absence of assessee and held that any assessment, whether it be first round or otherwise framed under section 153A without getting approval under section 153D of Act, is not sustainable in law.

Contribution to Approved Superannuation Fund Deductible if not exceeds Prescribed Limit: ITAT Kolkata

December 28, 2024 180 Views 0 comment Print

These regulations do not specify any date by which the employee’s contribution/ subscription to the PF is to be deposited in the individual employee’s account under the Calcutta Port Trust Non-Contributory Provident Fund.

Agricultural Land Purchased per MOA Objects Treated as Business Income: ITAT Mumbai

December 28, 2024 342 Views 0 comment Print

In a recent ruling ITAT Mumbai dismissed appeal filed by the revenue and confirmed order of the CIT (A) in treating the income/compensation received from the transaction in agricultural land as business income instead of income from other sources as treated by the AO.

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