Transfer-pricing tolerance for software sub-licensing falls within the services range, eliminating the adjustment and requiring TDS-credit verificatio...
Customs Broker due diligence requires prescribed KYC, not detecting misdeclarations discoverable only through physical examination, defeating licence ...
E-filing system failure permits exclusion of affected time in insolvency appeals, preventing tribunal technology defects from defeating timely filings...
Pre-existing disputes over outcome-based professional fees can bar Section 9 insolvency proceedings where contractual entitlement requires investigati...
Corresponding scheduled offences preserve money-laundering jurisdiction despite repeal of the central corruption provision where conduct remains cover...
Rural agricultural land does not constitute a capital asset for income-tax purposes. Compensation received on its compulsory acquisition under the RFCTLARR Act is exempt from income tax, applying Circular No. 36/2016. Accordingly, such compensation cannot be assessed as short-term capital gain, and the addition made on that basis was deleted.
Rural agricultural land does not constitute a capital asset for income-tax purposes. Compensation received on its compulsory acquisition under the RFCTLARR Act is exempt from income tax, applying Circular No. 36/2016. Accordingly, such compensation cannot be assessed as short-term capital gain, and the addition made on that basis was deleted.
Note: It is a system-generated summary and is for quick reference only.