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Judiciary

Jobbing is not speculative in view of proviso(c) to section 43(5)

February 1, 2014 16473 Views 0 comment Print

This proviso makes it very clear that any profit or loss on account of jobbing will not be in the nature of speculation profit or speculation loss. Thus, even if it is accepted that the loss suffered by the appellant was on account of self-trading in view of proviso (c) to section 43(5) such loss cannot be treated as speculation loss.

Coercive steps for recovery cannot be initiated till time to prefer an appeal exhausts

January 30, 2014 1599 Views 0 comment Print

It is not in dispute that the original authority passed the assessment order on 30.12.2013, as against which, further appeal lies to the Income Tax Appellate Tribunal under Section 253 of the Act and the time for moving the Tribunal is 60 days from the date of receipt of a copy of the order.

Mere execution of development agreement not amounts to transfer

January 30, 2014 1766 Views 0 comment Print

The Commissioner of Income Tax (Appeals) so also the learned Tribunal upon perusal of the agreement in question found that the possession as contemplated in Section 53A of the Transfer of Property Act was in fact not handed over by the assessee to the developer.

S. 14A Recording of satisfaction is pre-requisite for invoking rule 8D

January 30, 2014 2686 Views 0 comment Print

In this case, assessee has earned by way of dividends a sum of Rs.5,45,58,685/-, which is exempt u/s 10(38) of the Act and thus the same does not form part of the total income under the Act. In the computation of income, assessee having regard to section 14A of the Act

Deduction U/s. 80-IB(10) available on additional income offered u/s 132(4) in return filed u/s 153A

January 30, 2014 3477 Views 0 comment Print

The appellant is a partnership firm engaged in construction business which was subject to a search action u/s 132(1) of the Act on 06.10.2009. In the course of search, Shri Rajesh Malpani, partner of the assessee firm in a statement recorded u/s 132(4) of the Act on 03.12.2009

Share application money cannot be construed as loan or deposit for section 269SS

January 30, 2014 2020 Views 0 comment Print

The Assessing Authority having noticed that the assessee-company had accepted share application money in cash from its directors in violation of provisions of section 269SS, imposed penalty under section 271D and Commissioner (Appeals) upheld penalty order.

Revision of audited report by CA before adoption of earlier audit report in AGM would not constitute misconduct

January 28, 2014 1189 Views 0 comment Print

A careful analysis of Guidance Note on Revision of the Audit Report issued by the Council of the Institute of Chartered Accountants of India would reveal that it is permissible for the respondent to rectify and revise the audit report even after it is submitted.

Entitlement earned for carbon credits is a capital receipt and cannot be taxed as a revenue receipt

January 27, 2014 3026 Views 0 comment Print

Assessing Officer has held that (a) Carbon Credit is not a capital receipt, (b) cost of acquisition of Carbon Credit is NIL & (c) entire receipt is taxable as capital gain. However, in the computation, it has been added as Business income.

Penalty on legal heir without impleading as legal heir not sustainable

January 27, 2014 7302 Views 0 comment Print

In the case before us, the legal heir was never impleaded or brought on record. The show cause notice for penalty was not issued, as legal heir of the deceased, and therefore, it cannot be said that non-mentioning of the name of the legal heir and writing of name of the deceased at the top

Interest expenditure for expansion of business was allowable as revenue expenditure

January 27, 2014 858 Views 0 comment Print

Expenditure incurred on soda ash project interest expenses and lab project interest was allowable and it was not pre-operative expenditure of interest by way of revenue expenditure as it was for an expansion of the existing business.

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