Revenue neutrality in domestic related-party loans can require deletion of interest transfer pricing adjustments after domestic-transaction verificati...
Unexplained share capital and premium received by assessee company was its own unaccounted money flowing back in form of premium on share allotment. Assessee filed details of identity and creditworthiness of share allottees, appointed as directors. Provisions of Section 68 not invoked considering facts. Enrich Agro case held addition u/s 68 unjustified where documents establishing investor's identity, creditworthiness, and genuineness of transaction furnished. Kunjal Synergies case deleted addition u/s 68 where evidences proving identity and creditworthiness of share subscribers filed.
Unexplained share capital and premium received by assessee company was its own unaccounted money flowing back in form of premium on share allotment. Assessee filed details of identity and creditworthiness of share allottees, appointed as directors. Provisions of Section 68 not invoked considering facts. Enrich Agro case held addition u/s 68 unjustified where documents establishing investor's identity, creditworthiness, and genuineness of transaction furnished. Kunjal Synergies case deleted addition u/s 68 where evidences proving identity and creditworthiness of share subscribers filed.
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