Natural justice in insolvency-professional discipline requires disclosed material; notices based on extraneous material and ignored defences are vitia...
Development rights transfers treated as immovable property, while construction abatement applies and repeated non-payment permits extended service-tax...
Income Disclosure Scheme immunity and search-material requirements barred further share-transaction additions in unabated assessments under section 15...
As decided in Total Oil India (P.) Ltd., where a domestic company declares, distributes or pays dividend to a non-resident shareholder(s), the Additional Income-tax (Tax on Distributed Profits) payable by the domestic company u/s 115-O shall be at the rate mentioned therein and not at the rate applicable to the non-resident shareholder(s) as per the relevant DTAA. The domestic company can claim DTAA benefit only if the Contracting States intend to extend treaty protection for dividend distribution tax. Regarding applicability of transfer pricing regulations to operations carried out through qualifying ships where income is taxed under TTS, following assessee's own case, provisions of Chapter-X cannot be invoked to alter expenditure having no bearing on income computed under Chapter XII-G. Thus, transfer pricing regulations do not apply to income taxed under TTS.
As decided in Total Oil India (P.) Ltd., where a domestic company declares, distributes or pays dividend to a non-resident shareholder(s), the Additional Income-tax (Tax on Distributed Profits) payable by the domestic company u/s 115-O shall be at the rate mentioned therein and not at the rate applicable to the non-resident shareholder(s) as per the relevant DTAA. The domestic company can claim DTAA benefit only if the Contracting States intend to extend treaty protection for dividend distribution tax. Regarding applicability of transfer pricing regulations to operations carried out through qualifying ships where income is taxed under TTS, following assessee's own case, provisions of Chapter-X cannot be invoked to alter expenditure having no bearing on income computed under Chapter XII-G. Thus, transfer pricing regulations do not apply to income taxed under TTS.
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