Credit card offers explained with 7 types and evaluation tips. Learn to compare rewards, fees, and benefits before applying.
The Income-tax Act, 2025 replaces old Sections 68 to 69D with a simplified sequential structure under Sections 102 to 106. The changes aim to improve clarity while retaining existing tax liabilities on unexplained income and assets.
LMPC Compliance regulates packaging, labeling, and sale of packaged commodities under the Legal Metrology framework in India. Businesses must follow mandatory declaration and registration requirements to avoid penalties and customs issues.
The Telangana High Court granted anticipatory bail to a Chartered Accountant accused in a share transfer fraud case, observing that the evidence was primarily documentary in nature. The Court held that custodial interrogation was not necessary in the circumstances.
Tribunal held that Section 159A of the Customs Act could not revive Rules 16 and 16A of repealed 1995 Drawback Rules where 2017 Rules showed a different legislative intention. Recovery proceedings initiated in 2022 were therefore held unsustainable.
CESTAT Chennai ruled that the BOOT water transmission agreement was a single indivisible works contract and not a trading activity. The Tribunal held that transfer of property in goods during execution did not convert the contract into sale of goods.
The Delhi High Court held that the scope of Section 311 Cr.P.C. is wide and extends to documentary evidence in addition to oral testimony. The provision can be used whenever the evidence is essential for a just decision.
ITAT Mumbai observed that the charitable trust had filed its original return within the due date prescribed under Section 139(1). The Tribunal directed fresh adjudication of the exemption claim instead of rejecting it on technical grounds.
Tribunal ruled that compliance with judicial orders restraining deduction of tax at source cannot attract liability under Sections 201(1) and 201(1A) of the Income Tax Act.
ITAT Delhi held that if Government money was fraudulently routed through the assessee’s account by another person, such deposits may not constitute the assessee’s income. The case was remanded for factual verification.