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Showing 861 to 880 of 1590 Records
 
Allowability of interest on capital borrowed u/s 36 provision from assessment year 2016-17.
  By: - CA DEV KUMAR KOTHARI        Dated: August 12, 2015
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UN-NECESSART LITIGATION BY TAX AUTHORITIES ON WELL SETTLED MATTER ABOUT REVENUE EXPENDITURE – ‘dry docking expense for repair of ship are revenue expenditure.
  By: - CA DEV KUMAR KOTHARI        Dated: August 12, 2015
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CONTRACT WORKMEN ARE TO BE INCLUDED AS EMPLOYEES OF THE ASSESSEE UNDER (erstwhile) SECTION 80-IA(2)(4) OF INCOME TAX ACT, 1961
  By: - Mr. M. GOVINDARAJAN        Dated: August 8, 2015
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"Anonymous donation" and judgment in case of Gurudev Siddha Peeth, Shrish Thakkar – a discussion.
  By: - CA DEV KUMAR KOTHARI        Dated: August 4, 2015
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Splitting of Composite Contracts as a means to Tax Avoidance in light of Ramsay Principle
  By: - Pratik Raoka        Dated: July 22, 2015
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PERSONAL INCOME TAX: IMPORTANCE OF OTHER LAWS IN TAX PLANNING – HERE IS EXPLAINED HOW?
2 Comments
  By: - PARAS MEHRA        Dated: July 6, 2015
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LOSS ON TRANSFER OF LONG-TERM SHARES AND UNITS can be set off against other capital gains, even if ‘profit’ or ‘gain’ would be exempt if transaction of transfer has suffered security transaction tax
  By: - CA DEV KUMAR KOTHARI        Dated: June 20, 2015
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Finance Act, 2015- Single Member Bench (SMC) of ITAT - more scope is desirable for disposal of cases by SMC benches.
  By: - CA DEV KUMAR KOTHARI        Dated: June 15, 2015
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Section -147 Reopening of Assessment / Reassessment
1 Comment
  By: - CA ombir Singh Panwar        Dated: June 14, 2015
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CBDT Circular about capital gains- suitable amendment is desirable A liberal circular about exemption from capital gains on extension of term of units in any Fixed Maturity Plans (FMPs) of mutual funds – binding on AO but seems to be beyond authority of CBDT- amendment in Income-tax Act or Income-tax Rules is desirable
  By: - CA DEV KUMAR KOTHARI        Dated: June 3, 2015
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Unnatural expansion of definition of "income" seems beyond power conferred to tax income under the Constitution of India. A new chapter of REAL TAX TERRORRSIM by NAMO Sarkar to counteract judicial pronouncement to include capital receipts in meaning of income.
  By: - CA DEV KUMAR KOTHARI        Dated: June 1, 2015
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CALL OPTIONS OR PUT OPTIONS ARE TRANSACTIONS OF DERIVATIVE MARKETS AND CANNOT BE TERMED AS SPECULATIVE IN NATURE
1 Comment
  By: - Mr. M. GOVINDARAJAN        Dated: May 23, 2015
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TAX APPEAL IS NOT A ‘LIS’
2 Comments
  By: - Mr. M. GOVINDARAJAN        Dated: May 13, 2015
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AMOUNT DEDUCTED AT SOURCE NOT CAPABLE OF BEING ADJUSTED OR COUNTED TOWARDS TAX PAYABLE
  By: - Mr. M. GOVINDARAJAN        Dated: May 8, 2015
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Foreign Remittance: Taxability: Case Law Analysis 2015: Series 3
  By: - CA Rohit Gupta        Dated: April 18, 2015
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Section 269SS and 269T- increase limits and widen coverage to achieve purpose
  By: - CA DEV KUMAR KOTHARI        Dated: April 9, 2015
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Finance Bill 2015 – New Explanation for determination of penalty for concealment of income or furnishing of inaccurate particulars of income- an analysis and observations.
  By: - CA DEV KUMAR KOTHARI        Dated: April 8, 2015
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Finance Bill 2015- deemed situations about erroneous and prejudicial orders. Observations and suggestions by CA Dev Kumar Kothari
  By: - CA DEV KUMAR KOTHARI        Dated: April 7, 2015
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REFERENCE BY ASSESSING OFFICER TO DEPARTMENTAL VALUATION OFFICER
  By: - Mr. M. GOVINDARAJAN        Dated: April 7, 2015
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Summary of First 2 ICDS issue by CBDT
  By: - Deepak Aggarwal        Dated: April 3, 2015
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