Receipt of immovable property requires actual possession or enjoyment; redevelopment allotments exchanged for tenancy rights fall outside deemed incom...
Section 80P deduction covers Souharda credit societies, including qualifying surplus-deposit interest, subject to member KYC verification for cash dep...
Transfer-pricing benchmarking and capital-receipt principles sustained taxpayer relief, while unsupported property-advance write-offs remained disallo...
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An intimation under return processing is not a regular assessment, so no opinion was formed and the change-of-opinion objection could not invalidate reopening; the reassessment quashment was set aside and the matter remanded for de novo appellate adjudication. On alleged bogus long-term capital gains from penny stock transactions, the Tribunal held that unrefuted documents showing purchase, demat holding and exchange sale, coupled with the absence of any specific material linking the assessee to entry operators, price rigging or exit providers, could not be displaced by suspicion or human probabilities alone; the additions for unexplained cash credit and related commission were deleted. The same reasoning applied to the later year, and the Revenue's appeal was dismissed.
An intimation under return processing is not a regular assessment, so no opinion was formed and the change-of-opinion objection could not invalidate reopening; the reassessment quashment was set aside and the matter remanded for de novo appellate adjudication. On alleged bogus long-term capital gains from penny stock transactions, the Tribunal held that unrefuted documents showing purchase, demat holding and exchange sale, coupled with the absence of any specific material linking the assessee to entry operators, price rigging or exit providers, could not be displaced by suspicion or human probabilities alone; the additions for unexplained cash credit and related commission were deleted. The same reasoning applied to the later year, and the Revenue's appeal was dismissed.
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