Independent manufacturing undertaking eligibility preserves Section 80IA/80IB deductions, while machinery kept ready for use qualifies for depreciatio...
Assessing Officer Satisfaction Requirement Bars Penalty for Cash Receipt in Immovable-Property Sale Cases Where Initiation Lacks Recorded Satisfaction...
Self-assessed import entries remain appealable, while bona fide classification disputes without misdeclaration cannot justify confiscation or penaltie...
Actual-user customs exemption conditions permit turnkey project transfers when imported windmill components are exclusively used for installation and ...
Customs offence disqualification excludes civil contraventions, preventing refusal of a private bonded warehouse licence based solely on monetary pena...
Stock brokers must prominently display SEBI-supplied investor awareness messages on websites and trading apps under a phased framework. From October 5 to 31, 2026, websites must display both the messages and risk disclosures, while app display is voluntary and may replace risk disclosures on days the messages are shown. From November 1, 2026, brokers must place the specified messages on website landing pages and display investor awareness messages and risk disclosures on alternate days on trading-app landing pages. Stock exchanges and depositories must disseminate the requirements, display the messages unchanged, and amend relevant rules. Existing risk-disclosure requirements otherwise remain unchanged.
Stock brokers must prominently display SEBI-supplied investor awareness messages on websites and trading apps under a phased framework. From October 5 to 31, 2026, websites must display both the messages and risk disclosures, while app display is voluntary and may replace risk disclosures on days the messages are shown. From November 1, 2026, brokers must place the specified messages on website landing pages and display investor awareness messages and risk disclosures on alternate days on trading-app landing pages. Stock exchanges and depositories must disseminate the requirements, display the messages unchanged, and amend relevant rules. Existing risk-disclosure requirements otherwise remain unchanged.
Note: It is a system-generated summary and is for quick reference only.