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TMI Short Notes

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TMI Short Notes on various issues

 

  1. Mutual Fund Gains and Deemed Dividends: Analyzing the Delhi High Court's Landmark Judgment
  2. Reassessing Income under Section 147 Post-Quashment of Sections 153A/153C: The Waiver of Limitation under Section 150(2)
  3. Section 153A of the Income Tax Act: A Critical Analysis of the Supreme Court's Interpretation in the Context of Search and Seizure
  4. Clarity and Precision in Tax Penalty Proceedings: Insights from a High Court Judgment
  5. Jurisdictional Challenges in Tax Assessments: Insights from a Recent ITAT Decision
  6. High Court Rules on the Invalidity of Reassessment Notices Issued to a Deceased Person
  7. Long-Term Capital Gains and Unexplained Cash Credits in Stock Transactions: A Legal Perspective
  8. Judicial Approach in Transfer Pricing and PE Attribution: Analysis of a Landmark Case: Legal Perspectives from Tribunal to Supreme Court
  9. Scrutinizing the Application of Mind in Tax Assessments: Examining the Role of ACIT while granting approval u/s 153D
  10. TDS Obligations and DTAA: Clarifying Tax Jurisdiction in International Telecom Services
  11. Distinction Between Business Income and Deemed Income in Income Tax Assessments: Higher rate of tax u/s 15BBE on Surrendered Income.
  12. Analysis of ITAT's Decision on Surplus Stock Taxation
  13. Validity of Notices / orders without DIN. The Critical Role of Procedural Compliance in Tax Administration: Analysis of a Supreme Court Stay
  14. Tax Exemptions: Capitation Fees in Educational Institutions: A Legal Quagmire
  15. Procedural Technicalities vs. Substantive Justice in Tax Administration: A High Court Perspective
  16. Revision u/s 263 and denial of deduction u/s 80IA: A Critical Analysis of the Delhi High Court's Judgment
  17. Condonation of Delay and Jurisdictional Challenges: A Case Analysis of ITAT Kolkata's Decision
  18. Legal Analysis: Scrutiny of Share Capital and Premium Under Section 68 of the Income Tax Act
  19. Judicial Scrutiny of Retrospective Cancellation of Charitable Trust Registration: A Case Analysis of Jurisdiction and Procedural Adherence under the Income Tax Act
  20. Office and Prosecution under Income Tax Act: Jurisdiction of Trial Court - Decision in a High Profile Tax Litigation Case
  21. Taxation of Unexplained Income at Higher Rate of tax u/s 115BBE : A Comprehensive Analysis of the ITAT Mumbai Judgment
  22. Analysis of ITAT Mumbai Judgment - Transfer Pricing Adjustment Dispute: Period of limitation u/s 144C
  23. In-Depth Analysis of Key Issues in the ITAT Chennai Judgement
  24. Doctrine of Merger in Income Tax Assessment: An Analysis of ITAT Chennai's Recent Judgment
  25. Delay in refund processing, the petitioner's entitlement to interest, and the court's decision to grant interest based on Section 244A
  26. Rejection of revision application u/s 264 in favor of assessee: A beneficial provision of Income Tax Act.
  27. An Analysis of ITAT Decision on International Taxation, Capital Gains, and DTAA
  28. Taxability of CSR fund: Treatment of certain funds received by an entity, particularly focusing on whether these funds should be included in the income and expenditure account or directly transferred to the balance sheet
  29. Legal Analysis of ESOP Deduction and allowability in the Revised Return of income: An ITAT decision.
  30. Distinction between Capital Gains and Business Income: Comprehensive Analysis of a Income Tax Case
  31. A Multifaceted Legal Analysis on Transfer Pricing and Tonnage Tax Scheme, Bareboat Charter, Interest on loan and other issues
  32. Assessment of Eligibility for Tax Deductions Under Scrutiny: Tribunal Upholds PCIT's Revisionary Powers
  33. Taxation of Employee Benefits: TDS on value of accommodation provided to the employees at the rate of 15 percent of salary
  34. The Intricacies of Unexplained Investment and Legal Recourse: A Comprehensive Analysis of a recent Case
  35. Intricacies of Taxation on Interconnect Charges in Telecom: Unraveling the Concept of 'Use or Right to Use'
  36. The Principle of Mutuality in Taxation: A Comprehensive Analysis of a Landmark Supreme Court Decision
  37. Landmark Income Tax Reassessment Case
  38. A Legal Dissection of Best Judgment Assessments in Tax Law, in the context of Sections 153A/153C in pursuance of search and seizure: Insights from a High Court Ruling
  39. Complexities of Residential Status and Tax Liability
  40. Navigating International Taxation Waters
  41. Deduction u/s 80P: Navigating the Legal Labyrinth - Co-operative Societies Vis-a-vis Co-operative bank
  42. Navigating Legal Complexities - Assessment in case of third parties post search and seizure - The period for which the assessee requires to file the return.
  43. Scope of compliance of the Document Identification Number (DIN) in tax communications​​.
  44. Navigating the Nuances of Capital vs Revenue Expenditure: The Asian Hotels Ltd. Case Analysis
  45. Tax Credit Entitlement - Credit of TDS if deductor failed to deposit the TDS to the Government
  46. A Landmark Judgment on Tax Credit Entitlement - Credit of TDS if deductor failed to deposit the TDS to the Government
  47. Validity of reopening of assessment - need for a direct link between the portal's information and the income allegedly escaping assessment
  48. Disallowance of expenses - need for tax authorities to have a practical understanding of the nature of business operations
  49. Disallowance of the assessee's business expenditure claims related to the purchase of sugarcane from member farmers, as well as the treatment of additional sugarcane price paid to growers as an appropriation of profits.
  50. Additions made u/s 69 and Section 56 in the absence of direct incriminating evidence linking the assessee to the alleged unexplained investments and interest income. - Assessment of search and seizure

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