Income Tax : This guide explains how unexplained cash credits under Section 68 and related provisions can attract steep taxation under Section ...
Income Tax : The Tribunal held that cash deposits during demonetisation cannot be treated as unexplained when backed by audited books, invoices...
Income Tax : ITAT Bangalore held that profit cannot be estimated arbitrarily when regular books of account are maintained and not rejected unde...
Income Tax : A large spousal gift exemption was denied due to failure in proving genuineness, creditworthiness, and source of funds. The ruling...
Income Tax : Income without satisfactory explanation is taxed at a special high rate under Section 115BBE. The provisions place strict liabilit...
Income Tax : The Delhi ITAT held that cash deposits sourced from recorded cash sales cannot be treated as unexplained credits once the sales an...
Income Tax : The Gujarat High Court upheld deletion of a Section 68 addition after finding that the lenders identity, creditworthiness and the ...
Income Tax : The Tribunal relied on earlier findings that the lending entities were paper concerns engaged in providing accommodation entries. ...
Income Tax : The Tribunal held that the entire unaccounted turnover from alleged on-money receipts cannot be treated as taxable income. It rule...
Income Tax : The ITAT Ahmedabad held that confirmations and banking documents alone were insufficient to establish genuine unsecured loans. The...
Income Tax : CBDT has instructed tax officers to uniformly apply Sections 68 to 69D and Section 115BBE after a C&AG audit found inconsistencies...
Income Tax : Assessing Officers should follow the sequence as noted below for applying provisions of section 68 of the Act: Step 1: Whether the...
CIT vs. Divine Leasing & Finance (SC) – The amount of share application money received by a Company from alleged bogus shareholders cannot be regarded as undisclosed income under S. 68 of I. T. Act for the simple reason that if the names of the alleged bogus shareholders are given to the AO, then the Department is free to proceed to re-open their individual assessments in accordance with law.