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AO can refer Valuation to DVO only if value declared by Assessee is less than fair market value

November 14, 2015 5156 Views 0 comment Print

Rashmikant Baxi (HUF) Vs. ITO (ITAT Mumbai) Reference to DVO can be made in two situations; first, the value is adopted based on report of registered valuer and second, in any other case. In assessee’s case, fair market value adopted as on 01.04.1981 is based on valuation report of registered Valuer.

In absence of Return of Notice sent by Speed Post it will be presumed to be delivered

November 14, 2015 1712 Views 0 comment Print

Petronet LNG Ltd. vs. DCIT (ITAT Delhi) When the document is sent by speed post and when the same is not returned to the sender by the postal department, the presumption is that it has been served on the assessee.

Reopening based on Judicial pronouncement when all info were already available is not valid

November 14, 2015 931 Views 0 comment Print

The facts on this issue are that the original assessment was completed by the ACIT, Circle-1, Dehradun u/s 143(3) of the Act. Thereafter a notice u/s 148 of the Act was issued on 31.03.2010. The reasons recorded by the Id. AO (copy has been placed

Adjust of one block of Fixed Asset against other cannot be said to be a arithmetical mistake

November 14, 2015 1815 Views 0 comment Print

Assessing Officer added last amount of short term capital gains to the tune of Rs. 54,67,547/- under section 50 of the Act. This comprised of a sum of Rs. 4,86,650/- qua factory building and Rs. 49,80,897/- relating to plant and machinery.

CIT cannot invoke section 263 if there is no lack of inquiry by AO

November 14, 2015 1054 Views 0 comment Print

Harmony Yarns Pvt. Ltd vs. CIT (ITAT Ahmedabad) The CIT’s sole reason for invoking section 263 jurisdiction alleges lack of verification in respect of 11 share and premium applicants to the tune of Rs. 56 lacs.

Section 14A AO cannot disallow expenses without recording his findings

November 14, 2015 471 Views 0 comment Print

The Assessing Officer made disallowance by invoking the provisions of Section 14A r.w. Rule 8D of the Income Tax Rules. As per assessee, the AO has not established any nexus between the expenditure disallowed and investment made from which the income denied is exempt from tax.

Search Warrant against Members of HUF cannot be deemed to be also against HUF

November 14, 2015 714 Views 2 comments Print

Shri Govind G. Sarawagi HUF Vs. ACIT (ITAT Ahmedabad)- Name of the HUF, who is separate taxable entity, is no where available in the Panchnama. It is also pertinent to note that all the members of the HUF were not covered under the search action.

Particulars of penalties and punishments in e-form MGT-7

November 14, 2015 8629 Views 1 comment Print

There are two expressions used in point XII of e-form MGT-7 – ‘Penalties and Punishments’. What do the two mean and how are they different? a. Penalties are penalties as in sec 42, 60, 91, 94, 111, 118, 119, 132, 136, 173 etc. b. Punishment refers to punishment by way of fine or imprisonment.

19 Summarized points of FAQ on Swachh Bharat Cess

November 14, 2015 3652 Views 0 comment Print

1. SBC shall be levied and collected as service tax on all the taxable services at the rate of 0.5% of the value of taxable service. 2. The Central Government has appointed 15th day of November, 2015 as the date from which provisions of Swachh Bharat Cess will come into effect. 3. SBC is not leviable on services which are fully exempt from service tax or those covered under the negative list of services.

Industrial Canteens exempt From Service Tax

November 14, 2015 26385 Views 3 comments Print

This article is a short description about the taxability of the services provided by Industrial canteens maintained in a factory under the Factories Act,1948. It is to be analysed on the basis of :- 1. the Mega Exemption Notification No.25/2012 – ST dated 20.06.2012 and 2. the Amended Notification No. 14/2013-ST dated 22/10/2013. Under the […]

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