Co-operative deduction eligibility excludes refund and commercial-bank interest, while qualifying co-operative investments require entity-wise verific...
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...
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Binding interim judicial directions restrained deduction of tax at source on Leave Fare Concession payments, so the assessee bank could not be treated as an assessee in default for that earlier period. Although the exemption issue on foreign travel had been concluded against the assessee on merits by the Supreme Court, the Tribunal held that section 201(1) could not be invoked while the assessee was complying with the interim restraint order. The consequential interest under section 201(1A) also could not survive. Applying the same reasoning to an identical second appeal, the Tribunal held both demands unsustainable and allowed both appeals.
Binding interim judicial directions restrained deduction of tax at source on Leave Fare Concession payments, so the assessee bank could not be treated as an assessee in default for that earlier period. Although the exemption issue on foreign travel had been concluded against the assessee on merits by the Supreme Court, the Tribunal held that section 201(1) could not be invoked while the assessee was complying with the interim restraint order. The consequential interest under section 201(1A) also could not survive. Applying the same reasoning to an identical second appeal, the Tribunal held both demands unsustainable and allowed both appeals.
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