Independent assessment discretion and corroborated electronic evidence determine validity of on-money additions and undisclosed-consideration assessme...
Service of notice and contractual debt acknowledgment preserved insolvency admission against a corporate guarantor despite limitation and natural just...
Original works exemption excludes standalone boulder transportation, leaving subcontracted railway-project transport services subject to service tax l...
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Section 56(2)(x) applies to buyers, while Section 50C applies to sellers. The assessee acquired development rights, not immovable property. Based on the Supreme Court's decision in Seshasayee Steels (P) Ltd, the difference between stamp duty value and actual purchase value is not taxable u/s 56(2)(x) for acquiring development rights. Consequently, the Appellate Tribunal dismissed the revenue's appeal.
Section 56(2)(x) applies to buyers, while Section 50C applies to sellers. The assessee acquired development rights, not immovable property. Based on the Supreme Court's decision in Seshasayee Steels (P) Ltd, the difference between stamp duty value and actual purchase value is not taxable u/s 56(2)(x) for acquiring development rights. Consequently, the Appellate Tribunal dismissed the revenue's appeal.
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