Advance-ruling mechanism governs pending GST classification, exemption and taxability disputes, limiting writ review once the specialised forum functi...
Charitable trust income application permits verified capital expenditure but rejects deferred pre-operative claims and requires reconsideration of con...
Reinsurance premium deductions require established regulatory breaches, while independently acquired software qualifies within the computer depreciati...
Independent corroboration and a direct nexus with the assessee are presented as essential before search statements, loose papers or third-party records can support additions. The material discusses acceptance of documented consultancy expenditure where agreements, invoices, banking payments and tax deduction support services, while retracted statements and uncorroborated papers do not establish non-genuine expenditure. It also addresses alleged unaccounted sales, cash salaries, land on-money, unexplained money, and liaisoning or gift expenditure. For unexplained expenditure, actual incurrence must be proved before examining its source; estimates, ambiguous loose sheets, and uninvestigated retractions are insufficient. Third-party parallel records or off-portal order communications require evidence of unrecorded supply, cash receipt, dispatch, stock discrepancy, or other linkage to the assessee.
Independent corroboration and a direct nexus with the assessee are presented as essential before search statements, loose papers or third-party records can support additions. The material discusses acceptance of documented consultancy expenditure where agreements, invoices, banking payments and tax deduction support services, while retracted statements and uncorroborated papers do not establish non-genuine expenditure. It also addresses alleged unaccounted sales, cash salaries, land on-money, unexplained money, and liaisoning or gift expenditure. For unexplained expenditure, actual incurrence must be proved before examining its source; estimates, ambiguous loose sheets, and uninvestigated retractions are insufficient. Third-party parallel records or off-portal order communications require evidence of unrecorded supply, cash receipt, dispatch, stock discrepancy, or other linkage to the assessee.
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