Stamp valuation increases after registration-fee payment led to deletion of property-purchase addition within tolerance and without valuation referral...
Capital Asset Conversion Requires Proven Business Stock Treatment; Paper Consideration in Spousal Flat Transfers Does Not Create Taxable Business Inco...
Human-probability test defeats political donation deduction where banking records mask accommodation-entry fund layering and evidence shows non-genuin...
Commercial property status protects capital-gains exemption when residential-house ownership limits are tested, while agricultural-land character gove...
Section 43CA permits agreement-date stamp duty valuation for computing business profits on transfer of land or building held as stock-in-trade where the agreement fixing consideration precedes registration and part consideration is received otherwise than in cash on or before the agreement date. Receipt through RTGS satisfies the non-cash condition. Where the agreed consideration and sale terms remain unchanged until registration, profits from the sale are computed using the stamp duty value prevailing on the agreement date rather than the registration date.
Section 43CA permits agreement-date stamp duty valuation for computing business profits on transfer of land or building held as stock-in-trade where the agreement fixing consideration precedes registration and part consideration is received otherwise than in cash on or before the agreement date. Receipt through RTGS satisfies the non-cash condition. Where the agreed consideration and sale terms remain unchanged until registration, profits from the sale are computed using the stamp duty value prevailing on the agreement date rather than the registration date.
Note: It is a system-generated summary and is for quick reference only.