Sponsored
    Follow Us:

All ITAT

Character of land at the time of sale relevant to consider nature of income, period of holding not relevant

October 3, 2015 1471 Views 0 comment Print

In the case of Smt. C. Vijay Kumari vs.ITO the Hyderabad ITAT has held that addition made by AO to the total income of the assessee on account of profit arising from sale of agricultural land treating the same as business income instead of capital gains claimed by the assessee as exempt

Disallowance of interest on presumption of use in capital work-in-progress not sustainable

October 3, 2015 2789 Views 0 comment Print

In case of JCIT vs. Riddhi Siddhi Gluco Biols Ltd. The Ahmedabad tribunal has held that Interest free funds available with assessee was much more than the interest free loan given by the assessee. A.O made proportionate disallowance merely on the presumption that the proportionate borrowed money must have been utilized for investment in capital work-in-progress. Relying on decision

Deduction U/s. 10A cannot be disallowed for mere belated receipt of export proceeds

October 3, 2015 1700 Views 0 comment Print

In case of ITO VS. M/s.Testree Solutions Pvt. Ltd, ITAT Bangalore held that the export proceeds received after the expiry of the period of six months from the end of the relevant previous year was to be allowed as a deduction u/s 10A .

No addition for expense shown in projected P&L A/c without showing corroborative evidences

October 3, 2015 804 Views 0 comment Print

In the case of DCIT vs. M/s. Vaghasia Associates, ITAT Ahmedabad held that merely because some estimated labour payment was written on the projected profit & loss account, the addition for unexplained expenditure cannot be made.

Wealth Tax Exemption for Commercial property available if used for business by others

October 3, 2015 2379 Views 0 comment Print

In case of ACIT vs. M/s. Prasad Machinery Pvt. Ltd. (ITAT Ahmedabad) assessee was owner of factory building. It allotted certain space therein to its sister concern for enabling it to carry on their business in lieu of charging rent.

Functionally dissimilar company cannot be considered as comparable for computation of ALP

October 3, 2015 849 Views 0 comment Print

In case of M/s. AT & T Global Business Services India Pvt.Ltd. VS. ITO , assessee-company, engaged in business of software development and providing application services to its AE. TPO on basis of mean margin earned by his own set of comparables

Business Transactions/Salary do Not come within purview of Section 2(22)(e)

October 3, 2015 2374 Views 0 comment Print

In the case of Shri Kaushik B. Patel Vs. D.C.I.T it was held by ITAT Ahmedabad that routine business transactions/salary payments do not fall under the purview of Deemed Dividend u/s 2(22)(e) of the Act. In this case the assessee’s books nowhere treat the sums received as loan and advances to have been received from the said Company.

Penalty U/s 271(1)(b) cannot be imposed without giving reasonable opportunity of being heard to Assessee

October 3, 2015 42592 Views 1 comment Print

ITAT Mumbai held in J. Gala Vs DCIT that for levying the penalty u/s 271(1)(b) revenue has to give a reasonable opportunity of being heard to the assessee, without which penalty could not be levied. Further for giving reasonable opportunity of being heard

Reimbursement of expenses will be included in calculating taxable receipts u/s 44BB

October 3, 2015 933 Views 0 comment Print

ITAT Delhi held in Siem Offshore Inc Vs Dy. DIT (International Taxation) that any payment received (whether in India or outside India) by an assessee who falls within sec 44BB would be taxed as per the provisions contained u/s 44BB. So the reimbursement of expenses would also be taxed u/s 44BB.

Ownership of land is required for claiming deduction u/s 80IB(10)

October 3, 2015 1157 Views 0 comment Print

ITAT Ahmedabad held in M/s Nirmala Developers Vs ITO that it was not necessary to be the owner of the land to claim the deduction u/s 80IB(10). But the necessary condition to claim the deduction u/s 80(IB)10 was that the assessee had borne the all expenses and took all the risk involved in the project.

Sponsored
Sponsored
Search Post by Date
August 2024
M T W T F S S
 1234
567891011
12131415161718
19202122232425
262728293031