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Relationship between a hospital and employee depend on terms of contract between them to determine 192 or 194J applicability

June 6, 2014 2927 Views 0 comment Print

On perusal of the order passed by the Tribunal in case of DCIT Vs. M/s Wockhardt Hospitals Ltd., (supra) it is to be seen that service agreement entered in case of M/s Wockhardt Hospitals Ltd., clearly establishes an employer and employee relationship since Doctors are governed

Foreign company deemed to have PE in India, If few places in India were at disposal of its employees

June 1, 2014 3788 Views 0 comment Print

CIT (Appeals) has inferred of the hotel/s, where the assessee’s employees stayed, as also serving as their work place. The communications between them and the head office, which is again a part of their work, has again admittedly been carried out in India and, as stated

Section 54F – Allotment date not relevant if Assessee made substantial payment for acquisition of new Flat

May 31, 2014 5083 Views 0 comment Print

Moot point arising in the instant case, not addressed by the first appellate authority, i.e., as what constitutes a ‘purchase’ for the purposes of section 54F or, for that matter, the other para materia provisions.

No Disallowance for non deduction of TDS if recipient of income paid tax on the same

May 31, 2014 8898 Views 0 comment Print

Reliance in this regard can be placed on the decision of Hon’ble Tribunal (Agra) in case of Rajeev Kumar Agarwal vs CIT (ITA No. 337/Agra/2013) pronounced on 29th May 2013 wherein the AO disallowed interest payments made without deducting TDS under Section 194A of the Act.

Section 54F – Mere letter of allotment cannot be considered as investment in residential house

May 21, 2014 5227 Views 0 comment Print

Clause (4) of Sec. 54 clearly mention that the amount of net consideration which is not appropriated by the assessee towards the construction of the new asset before the date of furnishing the return of income u/s. 139, shall be deposited by him before furnishing such return (such deposit being made in any case not later than the due date applicable in the case of the assessee for furnishing the return of income under sub section (1) of Sec. 139).

Residential unit of 8ft x 8 ft dimensions cannot be treated as Building – Section 54

May 19, 2014 1021 Views 0 comment Print

he exemption u/s 54 was not allowed as what was transferred is a residential unit with 8ft x 8 ft dimensions and holding that such structure cannot be treated as building. However, exemption u/s 54F was allowed to the extent of amount spent within six months from the date of transfer of the asset.

Jewellery prescribed limit treated explained Revenue shows anything contrary

May 16, 2014 879 Views 0 comment Print

ITAT Delhi ruling in Divya Devi vs. ACIT: Jewellery rebate as per CBDT’s Instruction No. 1916. Download full text of the order. Date: 16-05-2014.

Section 54/54F – Amount paid towards booking is to be treated towards ‘construction’

May 5, 2014 4110 Views 0 comment Print

Coming to a concomitant situation that if booking of flats does not tantamount to ownership of the house then how come the assessee claim that by booking a flat it has acquired ‘new house’ and becomes entitle for this exemption.

No disallowance U/s. 14A for investment in shares of subsidiaries & Joint Ventures

May 4, 2014 4385 Views 0 comment Print

For the year under consideration the assessee has specifically raised a point before the AO that 97.82% of the investment is in the subsidiary companies and joint venture companies and, therefore, no expenditure was incurred for maintaining the portfolio on these investments

Technical infirmity, is of no practical significance if additions on merits cannot be sustained

May 3, 2014 1739 Views 0 comment Print

“As evident from a plain look at the ground of appeal, the actual grievance of the appellant is not on merits but on the legal issue regarding limitations on the powers of the CIT(A) on the ground that post 1st June 2001

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