Cooperative society deposits, member-interest TDS exemption and credit-facility deduction claims require verification through records and supporting e...
Customs jurisdiction over EPCG condition breaches survives export-obligation discharge certificates, requiring alleged fraud and misdeclaration to be ...
Contractual tolerance requires consideration; breach recoveries, qualifying public infrastructure services and road works escape service tax liability...
Personal hearing requirements in GST adjudication were satisfied by prior opportunities and written submissions; appellate limitation received writ-pe...
Page of 4790
Press 'Enter' after typing page number.
581 to 600 of 95794 Results
❮
❯
❯❯
0 / 200
Expand Note
Add to Folder
No Folders have been created
+
Are you sure you want to delete "My most important" ?
The circular dated May 27, 2024, outlines timelines for disclosures by Social Enterprises on the Social Stock Exchange (SSE) for FY 2023-24. Not for Profit Organizations (NPOs) registered on SSE must make annual disclosures by 31st October, 2024, as per Regulation 91C (1) of SEBI LODR Regulations. Social Enterprises that have raised funds through SSE must submit an Annual Impact Report by the same date, as per Regulation 91E (1).
The circular dated May 27, 2024, outlines timelines for disclosures by Social Enterprises on the Social Stock Exchange (SSE) for FY 2023-24. Not for Profit Organizations (NPOs) registered on SSE must make annual disclosures by 31st October, 2024, as per Regulation 91C (1) of SEBI LODR Regulations. Social Enterprises that have raised funds through SSE must submit an Annual Impact Report by the same date, as per Regulation 91E (1).
Note: It is a system-generated summary and is for quick reference only.