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TMI Short Notes on various issues

 

  1. Provisions Relating to Expenditure Disallowance for Non-Taxable Income: comparing Clause 14 of Income Tax Bill, 2025, with Section 14A of Income-tax Act, 1961
  2. A Comprehensive Analysis of Tax Provisions for Political Parties and Electoral Trusts: From Income Tax Act, 1961 to Income Tax Bill, 2025
  3. Capital assets or stock in trade: Analysis of Section 9B of Income-tax Act, 1961 and Clause 8 of Income Tax Bill, 2025
  4. Analysis of Deemed Accrual of Income in India: A Comprehensive Review of Clause 9 of Income Tax Bill, 2025
  5. Income Deemed to Accrue or Arise in India: A Comparative Analysis of Current and Proposed Provisions
  6. Evolution of Deemed Income Provisions: A Comparative Analysis of Income Tax Bill 2025 and Income-tax Act 1961
  7. A Comparative Analysis of Residential Status Provisions: Income Tax Bill 2025 vs Income-tax Act 1961
  8. Apportionment of Income Between Spouses Under Portuguese Civil Code: A Comparative Analysis of Income Tax Provisions
  9. A Comparative Analysis of Scope of Total Income: Section 5 of Income-tax Act, 1961 and Clause 5 of Income Tax Bill, 2025
  10. Regulatory Framework for Commercial Activities by Non-Profit Organizations: A Comparative Analysis of Income Tax Bill, 2025 and Income-tax Act, 1961
  11. Rates of income-tax in respect of income liable to tax for the assessment year 2025-26.
  12. Tax rates under Part I of the First Schedule applicable for the assessment year 2025-26
  13. Co-operative Societies - Tax Rates For the assessment year 2025-26
  14. Firms - Tax Rates For the assessment year 2025-26
  15. Local authorities - Tax Rates For the assessment year 2025-26
  16. Companies - Tax Rates For the assessment year 2025-26
  17. Rates for deduction of income-tax at source during the financial year (FY) 2025-26 from certain incomes other than "Salaries".
  18. Rates for deduction of income-tax at source from "Salaries", computation of "advance tax" and charging of income-tax in special cases during the FY 2025-26 (Assessment Year 2026-27)
  19. Individual, HUF, association of persons, body of individuals, artificial juridical person. - Rate of TDS during the FY 2025-26 (Assessment Year 2026-27).
  20. Co-operative Societies - Rate of TDS during the FY 2025-26 (Assessment Year 2026-27).
  21. Firms - Rate of TDS during the FY 2025-26 (Assessment Year 2026-27).
  22. Local authorities - Rate of TDS during the FY 2025-26 (Assessment Year 2026-27).
  23. Companies - Rate of TDS during the FY 2025-26 (Assessment Year 2026-27).
  24. Rebate under section 87A
  25. Incentives to International Financial Services Centre
  26. Extension of sunset dates for several tax concessions pertaining to IFSC
  27. Exemption on life insurance policy from IFSC Insurance offices
  28. Exemption to capital gains and dividend for ship leasing units in IFSC
  29. Rationalisation of definition of 'dividend' for treasury centres in IFSC
  30. Simplified regime for fund managers based in IFSC
  31. Amendment of Section 10 related to Exempt income of Non-Residents
  32. Inclusion of retail schemes and Exchange Traded Funds (ETFs) in the existing relocation regime of funds of IFSCA
  33. Extension of date of making investment by Sovereign Wealth Funds, Pension Funds & others and rationalisation of tax exemptions
  34. Scheme of presumptive taxation extended for non-resident providing services for electronics manufacturing facility
  35. Extension of benefits of tonnage tax scheme to inland vessels
  36. Simplification of tax provisions for charitable trusts/institutions
  37. Rationalisation of ‘specified violation’ for cancellation of registration of trusts or institutions
  38. Period of registration of smaller trusts or institutions
  39. Rationalisation of persons specified under sub-section (3) of section 13 for trusts or institutions
  40. Rationalisation in taxation of Business trusts
  41. Harmonisation of Significant Economic Presence applicability with Business Connection
  42. Bringing clarity in income on redemption of Unit Linked Insurance Policy
  43. Amendment of Definition of ‘Capital Asset’
  44. Extension of timeline for tax benefits to start-ups
  45. Rationalisation of taxation of capital gains on transfer of capital assets by non-residents
  46. Rationalization of tax deducted at source (TDS) rates
  47. TDS rate reduction for section 194LBC
  48. TDS threshold rationalization TDS provisions have various thresholds of amount of payment or amount of income, beyond which tax is required be deducted. It is proposed to rationalize these thresholds as below
  49. Section 193 – Interest on securities
  50. Section 194 – Dividends

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