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Judiciary

Bogus Purchase: Reassessment based on info that assessee involved in the same is valid

April 6, 2019 3192 Views 0 comment Print

Reassessment was rightly opened under section 147 by AO as he had received fresh and tangible material being incriminating information from DGIT(Inv.) which in turn was based on incriminating information received from VAT authorities that assessee to be beneficiary of alleged bogus purchases and it was sufficient to reopen  concluded assessment within the parameters of section 147.

Manufacture of herbal product from herbs, manually and with use of small machinery, eligible for deduction u/s 80IA

April 6, 2019 1398 Views 0 comment Print

Deduction u/s 80IA eligible when herbal product is manufactured from herbs, manually and with the use of some chemicals and small machinery.

Disallowance of cash purchase of jewellery u/s 40A(3) justified in case assessee failed to give explanation

April 6, 2019 4872 Views 0 comment Print

Since assessee failed to demonstrate that the conditions of the bid for purchase of gold jewellery required assessee to effect payments in cash and there was no explanation as to what stopped assessee from effecting payments through banking channel, therefore, AO was justified in disallowing the cash purchase of jewellery under section 40A(3).

Addition u/s 68 cannot be made merely because investment was considerably large

April 6, 2019 1218 Views 0 comment Print

Merely because the investment was considerably large and as noted, several corporate structures were either created or came into play in routing the investment in the assessee through P5AHIML would not be sufficient to brand the transaction as colourable device.

No Penalty for Cash loan received from father for reasonable cause

April 5, 2019 2457 Views 0 comment Print

Since assessee had given reasonable cause for availing loan in cash from his father within the meaning of section 271D, therefore, he would be out of the rigours of levy of penalty under section 271D and no penalty could be levied.

Order U/s. 201(1) & 201(1A) after one year in case of non-residents was void-ab-initio

April 5, 2019 4776 Views 0 comment Print

Where payments in the nature of royalty/fee for technical services (FTS) were made to non -residents, an order u/s. 201 passed after one year from the end of the financial year in which the proceedings were initiated was void ab initio and liable to be quashed.

Sec. 68 addition unjustified when assessee explains both nature & source of share capital

April 5, 2019 4275 Views 0 comment Print

Since assessee had explained both the nature & source of share capital received with premium and also submitted PAN details, bank account statements, audited financial statements and Income Tax acknowledgments to prove the identity, creditworthiness and genuineness of the share applicants, therefore, addition under section 68 was unjustified.

Company includes partnership firm | Section 141 | Negotiable Instruments Act

April 5, 2019 6651 Views 0 comment Print

G Ramesh Vs Kanike Harish Kumar Ujwal & Anr. (Supreme Court of India) In terms of the explanation to Section 141, the expression ‘company’ has been defined to mean any body corporate and to include a firm or other association of Sub-section (1) of Section 141 postulates that where an offence is committed under Section […]

Penalty cannot be levied by treating old jewellery found in locker as undisclosed income

April 5, 2019 3060 Views 0 comment Print

Penalty under section 271AAB could not be imposed on assessee as old jewellery found in the locker of assessee and family members could not be treated as undisclosed for the purpose of levying penalty.

Section 80IC deduction cannot be restricted merely for higher profit margin

April 5, 2019 1548 Views 0 comment Print

Since higher profit margin was earned by section 80-IC unit on account of lower cost of production due to various incentives and availability of raw material at lower rates, there was no reason to restrict assessee’s claim for deduction under section 80IC.

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