Charitable trust registration requires a specified-violation notice; settled cash deposits and related-party payments did not justify cancellation or ...
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ITAT treated notional interest on overdue receivables from...
Overdue associated-enterprise receivables: debt-free status defeated notional-interest adjustment, while employee stock-option costs qualified as business expenditure.
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ITAT treated notional interest on overdue receivables from associated enterprises as unwarranted where the taxpayer was debt-free, resulting in deletion of the transfer-pricing adjustment. It also treated employee stock option plan costs as allowable business expenditure rather than capital expenditure and deleted the corresponding disallowance. The appeal was partly allowed on those grounds.
ITAT treated notional interest on overdue receivables from associated enterprises as unwarranted where the taxpayer was debt-free, resulting in deletion of the transfer-pricing adjustment. It also treated employee stock option plan costs as allowable business expenditure rather than capital expenditure and deleted the corresponding disallowance. The appeal was partly allowed on those grounds.
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