Inverted-duty-structure refunds remain available for unchanged-rate apparel supplies despite trader status and require tax-period-specific computation...
Foundational assessment satisfaction is essential before initiating penalty for cash receipt of immovable-property sale consideration under section 27...
Tax collection at source on purchases removes duplicate withholding obligation, while trade-creditor evidence requires verification before unexplained...
Transfer-pricing comparability requires material turnover effects; adjustments must cover only associated-enterprise transactions and exclude abnormal...
Page of 4891
Press 'Enter' after typing page number.
1001 to 1020 of 97820 Results
❮
❯
❯❯
0 / 200
Expand Note
Add to Folder
No Folders have been created
+
Are you sure you want to delete "My most important" ?
Goodwill arising from the slump-sale acquisition of a going software business division qualifies as a depreciable intangible asset where the Business Transfer Agreement transfers the division's products, employees, licences, permits and assets. Consideration exceeding the net value of transferred assets and liabilities may represent goodwill and other intangible assets rather than unexplained expenditure, where it is recorded under the transfer agreement and not claimed as revenue expenditure. Tax deduction at source on transfer of immovable property does not apply where the transferred business assets comprise computer systems and intangible assets, with no land, building or part of a building transferred. Depreciation and deletion of the related disallowance and addition were sustained.
Goodwill arising from the slump-sale acquisition of a going software business division qualifies as a depreciable intangible asset where the Business Transfer Agreement transfers the division's products, employees, licences, permits and assets. Consideration exceeding the net value of transferred assets and liabilities may represent goodwill and other intangible assets rather than unexplained expenditure, where it is recorded under the transfer agreement and not claimed as revenue expenditure. Tax deduction at source on transfer of immovable property does not apply where the transferred business assets comprise computer systems and intangible assets, with no land, building or part of a building transferred. Depreciation and deletion of the related disallowance and addition were sustained.
Note: It is a system-generated summary and is for quick reference only.