Follow Us:

All ITAT

No Disallowance U/s. 14A r.w. Rule 8D for Investments in subsidiaries

July 17, 2013 4163 Views 0 comment Print

The first issue in the appeal of the assessee relates to dis-allowance made u/s. 14A r.w.r. 8D. The Assessing Officer has made dis-allowance to the tune of Rs. 4,32,66,500/-. The contention of the assessee is that the assessee has earned dividend income of Rs. 4.6 Lakhs which is fully exempt u/s.

No Section 14A/ Rule 8D Disallowance without considering the the claim of the assessee

July 16, 2013 7024 Views 0 comment Print

The assessee earned income by way of dividend. During the assessment u/s 143(3) of the Income Tax Act, 1961. The AO asked the assessee for the details of expenditure incurred for earning the exempted income (dividend income).

Sec. 54 Expression ‘a residential house’ cannot be interpreted as ‘a single residential unit’

July 10, 2013 27275 Views 0 comment Print

Assessee, owner of a residential property, entered into a development agreement for construction of flats with a developer. Under agreement, assessee received 7 flats towards his share. He claimed exemption u/s 54F on the entire amount of capital gain.

Transfer of leasehold rights in land and building would not attract provisions of section 50C

July 8, 2013 17605 Views 1 comment Print

Assessee has sold/transferred a lease hold landed property at 36, SSGT road, Industrial area, Ghaziabad at a consideration of Rs.3,25,00,000/- to Sara exports Ltd. The said lease hold property was acquired by the assessee way back in 1971 as per the original elase deed dt. 26.8.71

Compensation for termination of MoU which enables assessee to carry on business of mining is a capital receipt on account of loss of ‘source of income’

July 8, 2013 1150 Views 0 comment Print

The assessee is a Company and is engaged in the business of manufacturing and trading of facilities of sponge iron from iron ore, steel melting section for manufacturing of MS ingots from sponge iron and MS scrap, a rerolling mill for manufacturing of constructional and structural steels

No Addition based on mere statement recorded u/s 132(4) in the absence of Supporting evidences

July 8, 2013 7614 Views 0 comment Print

A search and seizure operation was carried out at the premises of the assessee on 22.11.2006. Assessee is an individual filed the return of income at Rs.5,88,06,735/- on 02.09.2008. This amount included undisclosed investment in jewellery of Rs. 12,85,777/-

Intellectual Dishonesty – of CA or CIT? Cost to be imposed on CA or CIT?

July 5, 2013 5841 Views 0 comment Print

The assessee had categorically stated that the assessee had claimed deduction under the provisions of section 10B for the first time in the assessment year 1995-96. This fact has been admitted by the Revenue in the assessment year 1999-2000. The assessee has placed on record the order of the CIT(A) dated 21.10.2005 relevant to the assessment year 1999-2000 at page 10 to 16 of the paper book.

Assessee cannot claim exemption U/s. 54 on two disparately placed properties

July 4, 2013 11996 Views 0 comment Print

Issue – Assessee in this appeal had sold a residential house at Film Nagar, Hyderabad, during the relevant previous year, for a sum of Rs. 6,50,00,000/-. After deducting indexed cost of acquisition, the long term capital gain came to Rs. 5,98,25,430/-.

No section 43B disallowance for PF deposited within permissible grace period

July 3, 2013 966 Views 0 comment Print

Explore Zyg Pharma vs. DCIT case – Sales tax waiver taxability and provident fund delay. Learn about ITAT Mumbai’s decision on these income tax matters.

Expenditure incurred during temporary lull of business should be an allowable expenditure

July 2, 2013 2764 Views 0 comment Print

Assessing Officer ignored the very fact that there was a temporary lull in the business of the assessee and it was not a cessation of business of activity. Therefore, the Assessing Officer disallowed the expenses incurred by the assessee for continuation of its business which deserve

Search Post by Date
June 2026
M T W T F S S
1234567
891011121314
15161718192021
22232425262728
2930