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TP adjustments not applicable on transactions between Head Office & Branch Office

June 26, 2015 5234 Views 0 comment Print

Whether the transactions between the head office in India and branch office in Canada can be considered as international transactions? The assessee had entered into certain transaction with his branch office in Canada. The AO had taken these transactions also into sweep for the purposes of making the transfer pricing adjustment.

Penalty cannot be imposed on preponderance of probabilities

June 26, 2015 2783 Views 0 comment Print

It is well settled that the parameters of judging the justification for addition made in the assessment case of the assessee is different from the penalty imposed on account of concealment of income or filing of inaccurate particulars of income and that certain disallowance/addition could legally be made in the assessment

Order Should Be Passed after Affording Adequate Opportunity with clear findings

June 26, 2015 763 Views 0 comment Print

This is an appeal filed by assessee against the order of Ld. CIT (A) dated 18/11/2013 for the assessment year 2003-2004.The grounds of assessee was that CIT (A) did not afford the assessee sufficient time and opportunity to make necessary submission and to adduce relevant details and documents

No disallowance of Interest if assessee has own fund more than interest free advance

June 26, 2015 2219 Views 0 comment Print

In his first fold of submission, he contended that assessee has sufficient interest free funds available which were used for the purpose of giving interest free advances, therefore, ld. Assessing Officer ought to have not disallowed any amount out of the interest expenses claimed on the borrowed funds.

Revenue can’t file appeal to ITAT, if tax not exceeds Rs 4,00,000/-

June 26, 2015 2101 Views 0 comment Print

Assessing officer has made few additions in his assessment order which were later on deleted by the CIT (A) on merits. Revenue preferred an appeal to the Tribunal against an order of CIT(A). However in this case the tax effect was less than Rs 4 lacs.

Mere declaration of supplier as ‘Hawala dealer’ by Vat Authorities not sufficient to made addition U/s. 69C

June 26, 2015 1114 Views 0 comment Print

Brief Facts:Assessee, an individual,proprietor of M/s. Hydro Pure System,is engaged in the business of installation,erection and servicing of water purifying systems.He is deriving income from business and other sources. He filed his return of income on 28.9.10,declaring total income of Rs.18.40 lacs .

Retention Money taxable when right to receive accrues not on mere billing

June 26, 2015 1798 Views 0 comment Print

The assessee submitted that the retention money which was payable after expiry of plant performance guarantee period is over, did not accrue to it on the supply of plant / equipment, hence the same cannot be considered as income of the assessee as the amount did not accrue or become due at that time.

Loan foreclosure charges are eligible for deduction u/s 24(b)

June 25, 2015 11311 Views 0 comment Print

1. The assessee is an individual, who earned rental income from certain properties and claimed deduction for interest on loan paid by the assessee as interest u/s 24(b)of the Income Tax Act, 1961. 2. The A.O., on perusal of interest certificate given by the bank, noticed that out the total interest of Rs. 29,89,223/-

Depreciation on Goodwill is Allowed or not?

June 25, 2015 20184 Views 0 comment Print

By plain reading the words ‘any other business or commercial rights of similar nature’ in clause (b) of Explanation 3 to section 32 indicates that goodwill would fall under the expression ‘any other business or commercial right of a similar nature’.

Sec.10(23C)(iiiad) Receipts from more than one educational institutions cannot be clubbed

June 24, 2015 67997 Views 0 comment Print

For the purpose of limit prescribed in section 10(23C)(iiiad), Rs. One crore limit has to be considered for each institution separately and not for the assessee as a whole. This is very important to mention that as per section 10(23C)(iiiad) also, the term used is any university or other educational institution

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