Transfer pricing comparables and operating income principles applied to software development services, with exclusions, inclusions, and tax credit ver...
Transfer pricing on performance guarantees and overdue receivables deleted where warranty obligations were embedded and working capital adjustment alr...
Section 50 is a special computational provision for gains on transfer of depreciable assets, and its deeming fiction cannot be extended beyond that limited purpose. Although the gain is treated as short-term for computation, the underlying asset does not lose its long-term character. For section 74 set-off, the relevant test is the actual nature of the asset transferred, so long-term capital losses could be adjusted against the gain computed under section 50. The appellate order allowing set-off of current-year and brought-forward long-term capital losses was upheld, and the Revenue's appeal was dismissed.
Section 50 is a special computational provision for gains on transfer of depreciable assets, and its deeming fiction cannot be extended beyond that limited purpose. Although the gain is treated as short-term for computation, the underlying asset does not lose its long-term character. For section 74 set-off, the relevant test is the actual nature of the asset transferred, so long-term capital losses could be adjusted against the gain computed under section 50. The appellate order allowing set-off of current-year and brought-forward long-term capital losses was upheld, and the Revenue's appeal was dismissed.
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