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    Documentary proof of share transactions defeats penny stock-based additions absent specific evidence or cross-examination
    Transfer pricing on CCD interest: recharacterisation as equity rejected, and the nil arm's length adjustment deleted.
    Defective penalty notice and genuine sale transaction defeat section 271D cash receipt penalty before ITAT.
    Cost of acquisition in LTCG and seized cash adjustment led to recomputation of capital gains and deletion of interest.
    Head office expenditure and withholding tax rules: Tribunal remands section 44C issue, upholds disallowance and DTAA challenge fails.
    Transfer pricing comparables, working capital adjustment and receivables benchmarking ruled for software development services.
    Reassessment and successor liability upheld, but additions on investment sale proceeds deleted for lack of corroboration and denied cross-examination.
    CBDT circulars cannot override a possible view when concessionaire rights qualify as depreciable intangible assets.
    Substantial Government financing under section 10(23C)(iiiab) must be tested on current-year grants under Rule 2BBB.
    ERS/VRS compensation not taxable as profits in lieu of salary where payment was ex gratia on cessation of employment.
    Accrued interest under mercantile accounting taxed in the accrual year; reopening upheld on tangible material, not change of opinion.
    Third-party seized material needs corroboration; JDA-linked receipts cannot be taxed as income from other sources without transfer analysis.
    Tied-up government grant excluded from accumulation base for charitable trust exemption under section 11(1)(a)
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    Agricultural income exemption and unexplained investment issues remanded after failure to consider evidence and confront adverse material.
    SaaS product analytics receipts not taxable as royalty or FTS/FIS; ITAT deleted the addition and remitted TDS credit verification.
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      Transfer pricing comparables were revisited because the stated...

      Transfer pricing comparables and duplicate return processing addition required fresh verification and recomputation before final treatment.

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      Income TaxJune 5, 2026Case LawsAT
      Transfer pricing comparables were revisited because the stated related party transaction filter exclusions were not supported by the record. The exclusion of I Services India Private Limited required verification of available financial details and fresh computation of the related party transaction percentage before reconsidering inclusion. The exclusion of Cheers Interactive India Private Limited also required recomputation, after excluding payments to key managerial personnel in India from the related party transaction filter, before deciding comparability. On the corporate tax issue, the alleged disallowance of interest on TDS appeared to have been added twice in processing the return, so the Assessing Officer was directed to verify duplication and delete any double addition if established.

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      ActsIncome Tax