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Calcutta High Court

ALP not to be computed if transaction is not with associated enterprise

August 26, 2015 1759 Views 0 comment Print

In the case of Price Waterhouse & Anr. Vs CIT, Calcutta High Court through an interim order opined that if there was no relevant material in the hands of the Income Tax authorities with which it has come to an incontrovertible conclusion that the writ petitioner no.1 was an ‘associated enterprise’

AO cannot refer to DVO u/s 55 when valuation made by the registered valuer was on higher side

August 6, 2015 3733 Views 0 comment Print

Revenue challenged the order passed by ITAT majorly on three grounds. Firstly, on ground of adopting value of property as per the value provided by registered valuer instead of value adopted by AO on the basis of report of DVO.

Trade discount quantified subsequent to clearance is an admissible deduction from transaction value – HC

June 19, 2015 3535 Views 0 comment Print

In the case of M/s Shyam Steel Industries & Anr. Vs. Deputy Commissioner of Central Excise and Service Tax & Ors, it was held by Calcutta High Court that discount of any type made known prior to the clearance of the goods but quantified subsequently

Disclosure of Income after Search at sister concerns office cannot be called voluntary

June 9, 2015 630 Views 0 comment Print

High Court Calcutta held in CIT Vs Balampur Chini Mills Pvt Ltd that even if the assesse had voluntary disclosed its income by filing revised ROI though not detected by the revenue during scrutiny proceedings u/s 143(3), penalty u/s 272(1)(c) would be levied.

Alternative Remedy is a Bar to invoke extraordinary powers under Article 226

May 13, 2015 973 Views 0 comment Print

In the case of M/s. Nepa Agency Co. Pvt. Ltd & Anr v Union of India, Hon’ble Calcutta High Court held that whenever in a statute a remedy is provided or an alternative remedy is there, then there is no need to entertain the Writ Petitions.

Depreciation allowable for suspended period of business for reasons not attributable to Assessee

May 13, 2015 2848 Views 0 comment Print

Calcutta High Court Held in the case of M/s Budge Budge Company Ltd Vs CIT if the business had been suspended for some period of time without any malice contention of the assesse and the plant was still ready for use during that suspended period also

Mere Frequency of transactions in shares did not determine nature of transaction

May 12, 2015 1301 Views 0 comment Print

ITAT held in CIT( Kolkatta) Vs Merlin Holding Private Limited that it was the question of the fact to decide between the share income as an investment income or as a business income. Mere Frequency of the transactions in the shares did not determine the transaction to be business transaction or investment transaction.

Delay in appeal filing not maintainable without sufficient reasons of delay: HC

May 8, 2015 1819 Views 0 comment Print

Calcutta High Court held In the case of CIT vs. M/s Golden Corporation Services that it appears from the grounds of the appeal that appellant did not pursue the matter seriously. There is no allegation or any proof of the fact that the appellant was prevented by any cause far less sufficient

Burden of proof on assessee to prove creditworthiness & genuineness of creditors: HC

April 28, 2015 3909 Views 0 comment Print

Calcutta High Court held In the case of CIT vs. Mihir Kanti Hazra that it is well settled that creditworthiness of the alleged creditors and the source of the source are relevant enquiries. In the case of CIT Vs Precision Finance Pvt. Ltd. reported in (1994) 208 ITR 465

Amount paid to authorized dealer for protection from foreign exchange rate fluctuation is revenue expenditure

April 24, 2015 972 Views 0 comment Print

Calcutta High Court held In the case of CIT vs. M/s Britannia Industries Ltd. that bank charges claimed by the assessee are not relatable to the fixed assets. Bank charges are payable in consideration of the risk undertaken by the bank.

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