Pre-existing operational debt disputes require genuine evidence, while undirected running-account payments may be appropriated on a first-in-first-out...
Agency in CNG distribution makes outlet operators commission agents, rendering taxable Business Auxiliary Service rather than purchasing goods for res...
Composite inpatient healthcare supply may retain exemption despite MRP medicine billing, while separate taxable sale characterisation remains disputed...
Working-capital adjustment determines whether software-services transfer-pricing margins fall within the statutory tolerance range, eliminating any ad...
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Tax deduction at source on leave fare concession payments was not required where binding interim judicial directions prohibited deduction or recovery. Vacation of those directions operated prospectively and could not retrospectively impose a recovery obligation on the employer. An employer acting in compliance with such orders could not be treated as an assessee in default under sections 201(1) and 201(1A). Liability under section 201 required verification of whether employees, as primary taxpayers, had discharged their tax liability; it was not automatic merely because tax had not been deducted. The demand and consequential interest were deleted.
Tax deduction at source on leave fare concession payments was not required where binding interim judicial directions prohibited deduction or recovery. Vacation of those directions operated prospectively and could not retrospectively impose a recovery obligation on the employer. An employer acting in compliance with such orders could not be treated as an assessee in default under sections 201(1) and 201(1A). Liability under section 201 required verification of whether employees, as primary taxpayers, had discharged their tax liability; it was not automatic merely because tax had not been deducted. The demand and consequential interest were deleted.
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