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Home Circulars / Public Notices 1975 Income Tax Income Tax - 1975 Order-Instruction Order-Instruction - 1975 This

Law

Type: Year    

Order-Instruction - Income Tax For the Year - 1975

Showing 21 to 40 of 88 Records

  • 887/CBDT - 30-9-1975
    In the case of public limited companies, incorporation certificate and certificate to prove that this is a public limited company are required to be enclosed alongwith the application for issue of Clearance Certificate


  • 880/CBDT - 30-9-1975
    whether compensation paid by an Airlines Corporation under the Carriage by Air Act, 1934 to the heirs of a person dying in an air crash can be regarded as property passing on the death of the deceased victim for the purposes of Estate Duty Act, 1953


  • 886/CBDT - 29-9-1975
    Income deemed to accrue or arise in India - section 9(1)(i) - trading of goods


  • 885/CBDT - 27-9-1975
    whole of the profits of a non-resident, accruing or arising from a business connection in India is not deemed to accrue or arise in India, and it is only that portion of the profits which can reasonably be attributed to the operations of business carried out in India, which is liable to income-tax.


  • 884/CBDT - 25-9-1975
    Whether the transactions entered into by two or more persons is a joint venture will depend upon the facts of each case to be interpreted in the light of the decisions of the Supreme Court referred to above


  • 882/CBDT - 25-9-1975
    whether in a case where a firm has received as well as paid interest to a partner, it is the gross interest paid by the firm to the partner or the net interest (i.e. the gross interest paid by the firm to the partner minus the interest paid by the partner to the firm) will be added back under the provisions of section 40(b) of the Income-tax Act, 1961, in computing the income of the firm.


  • 881/CBDT - 25-9-1975
    A partner in a registered firm will be entitled to deduction u/s 35 of the Income-tax Act, 1961 for contributions to approved Scientific Research Institutions etc. made by him from his share of profits in the firm.


  • 879/CBDT - 25-9-1975
    Income-tax Officers should record a confidential note in the order sheet in all cases where the income returned by the assessee is less than 80% of the income assessed


  • 883/CBDT - 24-9-1975
    where a capital asset, being property held under trust wholly for charitable or religious purposes is transferred and the whole or any part of the net consideration is utilised for acquiring another capital asset


  • 878/CBDT - 22-9-1975
    The account figures are normally compiled with reference to classification shown on challans


  • 877/CBDT - 18-9-1975
    Special-tax on the gross amount of interest received by or accruing to the Scheduled Banks on loans and advances made in India


  • 758/CBDT - 11-9-1975
    whether the term 'house' which is not defined in the Estate Duty Act or in the Wealth-tax Act, would include land whcih is appurtenant to the house.


  • 876/CBDT - 6-9-1975
    remittance of head-office expenses


  • 875/CBDT - 5-9-1975
    Allowability of such interest u/s 37(1) - interest @ 8% on deferred dividend.


  • 874/CBDT - 4-9-1975
    (a) whether expenditure incurred on purchase of raw materials and payment of wages will qualify for weighted deduction within the meaning of section 35B; and (b) whether drafting of labour for execution of such a contract locally or abroad would make any difference in the claim for weighted deduction.


  • 873/CBDT - 4-9-1975
    For write off of demands, so also for scaling down, there need not be any provision in the Income-tax Act. Every creditor, including the Government, has the inherent right to give up a part or whole of the debt due to him.


  • 872/CBDT - 4-9-1975
    New accounting code


  • 1492/CBDT - 4-9-1975
    The question of scaling down of tax arrears


  • 871/CBDT - 24-8-1975
    Depreciation - section 32 - initial depreciation allowance


  • 870/CBDT - 24-8-1975
    Deduction of any portion of the value of rent-free accommodation provided to a Judge of the Supreme Court


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