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Hasty Recovery action may be treated as Contempt – Delhi HC to AO

April 9, 2014 1004 Views 0 comment Print

The facts of this case are that the petitioner lost its appeal before the Commissioner of Income Tax (Appeal) on 20.11.2013. The revenue issued notice under Section 221 for determined demand amounts due for the AY 2007-08, which was subject matter of the appeal before the CIT (Appeals).

Loss on writing-off of irrecoverable advances under scheme of amalgamation cannot be carried forward for set off in subsequent years

April 9, 2014 1202 Views 0 comment Print

Deposits or advances given to the parties which was written-off latter in the scheme of amalgamation, were neither a capital assets nor there was any transfer, thus no capital loss is allowed to be carried forward to the subsequent year. Thus held that irrecoverable advances written-off are not a transfer and the loss cannot be claimed as capital loss.

Parliament can impose Service Tax on Restaurants & Hotels – Bombay HC

April 8, 2014 2876 Views 0 comment Print

Bombay HC dismisses writ filed by Indian Hotels and Restaurant Association and upholds validity of service tax levy on air-conditioned restaurants serving liquor u/s 65(105)(zzzzv) of Finance Act.

Taxpayer not to be questioned about source & acquisition of prescribed limit of jewellery

April 7, 2014 1692 Views 0 comment Print

Rajasthan High Court held that the CBDT had clearly provided that prescribed limit of jewellery will not be seized, it would mean that taxpayer, found with possession of such jewellery, will also not be questioned about its source and acquisition.

Date of Sales / Purchase not to be excluded in Computing period of holding for Capital Gain

April 5, 2014 3133 Views 0 comment Print

Hon’ble Delhi HC has held in the case of ‘Bharti Gupta Ramola Vs. CIT’ that For computing holding period of asset both date on which asset is acquired & date on which said asset is sold or transferred are not to be excluded.

No concealment penalty for denial of exemption U/s. 54F for non completion of purchase deal due to dispute

April 4, 2014 2419 Views 0 comment Print

The respondents have not disputed this before us. It is true that the assessee had not deposited the long term capital gain in the capital gain account, and he had deposited the said amount in his savings account with Vijaya Bank.

Section 14A cannot be invoked when no exempt income was earned

April 2, 2014 3295 Views 0 comment Print

Punjab and Haryana High Court in CIT vs. M/s. Lakhani Marketing Inc, ITA No.970 of 2008 (O&M) , Dated- 02.04.2014 made reference to two earlier decisions of the same Court in CIT Vs. Hero Cycles Limited, 323 ITR 518 and CIT Vs. Winsome Textile Industries Ltd 319 ITR 204 to hold that Section 14A cannot be invoked when no exempt income was earned.

Disallowance cannot be made U/s 14A if there is no tax-free income

April 2, 2014 3384 Views 0 comment Print

From the reading of Section 14A the Act, it is clear that before making any disallowance the following conditions are to exist:‑ a) That there must be income taxable under the Act, and b) That this income must not form part of the total income under the Act, and

Special Audit – AO to decide if Accounts are complex, Court can interfere sparingly

March 20, 2014 1629 Views 0 comment Print

Recently Delhi High Court has in the case of AT&T Communication Services India (P) Ltd vs. CIT held that The question whether the accounts and the related documents and records available with the A.O. present complexity is essentially to be decided by the A.O. and in this area the power of the court to intrude should necessarily be used sparingly.

S. 147 Disclosure of 2G Spectrum Report not mandatory, if AO Furnished material on which he recorded his satisfaction

March 20, 2014 1596 Views 0 comment Print

Recently Delhi High Court has in the case of Acorus Unitech Wireless Pvt. Ltd vs. ACIT held that The law only requires that the information or material on which the AO records his or her satisfaction is communicated to the asseseee, without mandating the disclosure of any specific document.

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