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TMI Short Notes on various issues

 

  1. Remuneration and interest received by an individual partner from a partnership firm can be subjected to the presumptive taxation Under Section 44AD?
  2. Judicial Recall and Tax Implications in Trust Settlements: Using AI-generated citations without proper verification
  3. Corporate Mergers and Tax Assessment: Navigating Legal Entity Changes and rectification u/s 292B
  4. Reconciling Procedural Timelines with Limitation Periods in Income Tax Reassessments
  5. Condoning Delay in Filing Income Tax Return: A Case for Equitable Consideration
  6. Disallowance u/s 14A: Navigating the Interplay of Exempt Income and Expenditure
  7. Taxation of International Consulting Services: Navigating the Complexities
  8. Examining the Eligibility of Credit Co-operative Societies for Deduction on Interest from Co-operative Bank Deposits
  9. Draft Assessment Order Regime: Navigating the Multi-tiered Assessment Process and Distinct Nature of Section 144C Assessments
  10. Judicial Scrutiny of Section 14A Amendment: Retrospective or Prospective Effect?
  11. Tax on Royalties: Navigating the Interplay between Domestic Tax Laws and Double Taxation Avoidance Agreements
  12. Validity of Assessment u/s 153C: Reckoning the Limitation Period
  13. Interpreting 'Initiation' of Penalty Action u/s 275(1)(c): Period of Limitation
  14. Faceless Assessment: Decoding the Exemptions for International Tax Charges
  15. Decoding the Interplay of Sections 153A and 153C in Search Assessments: Limitation and Reassessment Dynamics
  16. Income Tax Case Transfers: Place of Business vs. Registered Office: Determining the Appropriate Jurisdiction for Income Tax Assessments
  17. Validity of Writ Petitions and Section 153C Proceedings: Examining the High Court Judgment
  18. Interpreting Time Limits for 80G Registration for Charitable Institutions: Avoiding Absurdity in the Law
  19. Interplay between the provisions of Section 153C and Section 147: Limits on Automatic Reassessment in Search Cases
  20. Equity and Justice in Tax Matters: Condonation of Bona Fide Delays
  21. Embracing Equity in Tax Laws: Recognizing Genuine Difficulties in Condonation of Delays in filing of ITR
  22. Real Income Taxation: Avoiding Double Disallowance of Wages and Salaries Payable
  23. Jurisdictional Prerequisites for Initiating Reassessment u/s 148: Non-Depoist of TDS by the Employer
  24. Revisiting the Scope of "Record" u/s 263: Embracing Subsequent Records
  25. Interpreting "Record": Revisiting the Scope of Revision Powers u/s 264 and Rectification of Mistake u/s 154
  26. Supreme Court Upholds Validity of Re-Assessment Notices Issued During COVID-19 Lockdown
  27. Navigating the Faceless Assessment Regime: A Judicial Perspective
  28. Evidentiary Value of Statements Recorded During Income Tax Surveys: A Judicial Analysis
  29. Faceless Assessment: Ensuring Compliance with Statutory Provisions
  30. Faceless Assessment Mechanism: Jurisdictional Limits in Income Tax Proceedings
  31. Reassessment Notices for AY 2013-14: Upholding the Doctrine of Limitation
  32. Decoding the Mandatory Timelines: A Thorough Examination of the Income Tax Assessment Order Nullification
  33. Stay of Tax Demand: Interpreting the Discretionary Power u/s 220(6) of the Income Tax Act
  34. Interpreting "Technical Services" under Tax Treaties: A Comprehensive Analysis
  35. Navigating the Registration Process u/s 80G: Insights from the ITAT Ruling
  36. Ensuring Fair Proceedings: The Importance of Proper Notice Service in Income Tax Matters
  37. Unraveling the Royalty Conundrum and DTAA: ITAT's Stance on Marketing and Reservation Fees
  38. Royalty or Not? Decoding the Taxability of Marketing and Reservation Contributions under India-USA DTAA
  39. Unraveling the Intricacies: Assessing a Political Party's Claim for Income Tax Exemption
  40. Bogus Capital Gains and Accommodation Entries: Unraveling the Penny Stock Scam and Tax Evasion
  41. Strict Interpretation of Exemption Provisions: Supreme Court's Ruling on Section 10B(8) of the Income Tax Act
  42. Disallowance u/s 14A: Prospective or Retrospective Effect of the Amendment?
  43. Navigating the Complexities of "Charitable Purpose" in Income Tax Exemptions
  44. Cooperative Banks vs. Primary Agricultural Credit Societies: Implications for Section 80P Deduction
  45. Exemption u/s 11: Condonation of Delay in Filing Form 10
  46. Interpreting Section 249(4)(b) of the Income Tax Act: When Non-Payment of Advance Tax Cannot Dismiss an Appeal
  47. Retrospective Amendments and the Doctrine of Vested Rights: A Judicial Perspective
  48. Upholding Equality: HC Strikes Down Discriminatory Circular on Charitable Trust Approvals
  49. Judicial Review of Income Tax Settlement Commission (ITSC) Orders: Navigating the Boundaries
  50. Assessee's Lackadaisical Conduct Leads to Dismissal of Income Tax Appeal

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