Enhanced tax rate on surrendered unexplained income applies prospectively, while cash-deposit telescoping requires verification of available surrender...
Customs Broker licence proceedings require accurate procedural facts before delay or natural-justice findings can justify setting aside regulatory act...
Provisional assessment finalisation must precede export duty recovery, while redemption fine fails for goods already exported and unavailable for conf...
Deduction under section 43B for GST payable could not be denied merely because the tax audit report showed the liability as outstanding on the date of signing, where the assessee claimed payment was made before the due date for filing the return. The Tribunal held that payment after the audit report date but before the return due date can still qualify for deduction, so the adjustment made in processing the return could not stand solely on the Form 3CD disclosure. The matter was remanded for verification of the actual payment dates, and the addition was to be deleted if the GST had been paid within the statutory time limit.
Deduction under section 43B for GST payable could not be denied merely because the tax audit report showed the liability as outstanding on the date of signing, where the assessee claimed payment was made before the due date for filing the return. The Tribunal held that payment after the audit report date but before the return due date can still qualify for deduction, so the adjustment made in processing the return could not stand solely on the Form 3CD disclosure. The matter was remanded for verification of the actual payment dates, and the addition was to be deleted if the GST had been paid within the statutory time limit.
Note: It is a system-generated summary and is for quick reference only.