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    International transaction benchmarking restricts transfer pricing adjustments to associated-enterprise dealings, while functional comparability govern...
    Asset-based escaped-income satisfaction is mandatory for extended Section 153C jurisdiction; a cash-transaction note alone invalidates the assessment.
    Arm's length pricing for corporate guarantees and foreign-currency receivables applies a reduced commission, LIBOR benchmark, and credit period.
    Agricultural land character at transfer determines capital-gains treatment despite purchaser obtaining later non-agricultural-use permission.
    Accommodation-entry interest is disallowed, but tax withholding is excluded and unsupported estimated commission additions fail.
    Transitional reassessment limitation preserves the old regime's time bar, invalidating notices issued after the applicable period expired.
    Deemed annual value of completed unsold developer units must use municipal rateable value, subject to verified purchaser-advance exclusions.
    Joint development agreements defer taxable transfer where possession lacks part performance, while completed flats determine consideration and exempti...
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    Packaged software treated as goods excludes deemed sales from service tax, while late return filing fees remain payable.
    Manufacture requires a distinct marketable commodity; photocopier module kitting without assembly does not attract central excise duty.
    Natural gas compression solely for transport, followed by decompression before sale, does not constitute manufacture of compressed natural gas.
    Mandatory company arraignment governs cheque dishonour liability; Section 319 CrPC cannot cure an omitted company accused.
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      The Department initiated the case based on income tax documents,...

      Tax Discrepancy Case: Appeal Dismissed After Misstatements and Lack of Evidence Lead to Upheld Tax Liability and Penalties.

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      Service TaxAugust 16, 2024Case LawsAT
      The Department initiated the case based on income tax documents, which were public documents, and the presumption is on their truthfulness. The difference in value based on ITR and ST-3 Returns was due to misstatement of facts. The Department proceeded based on information received from the Income Tax Department regarding income from service provision shown in ITR and income on which TDS was deducted, as well as the gross value of service shown in ST-3 Returns. While relying on TDS/26-AS statements, service tax demand cannot be made under the Service Tax Act, the appellant's conduct of failing to provide documents when asked for by the Department and lack of supporting evidence for the discrepancy cannot be ignored. The differential tax liability was upheld, and interest liability accrued u/s 75 of the Act due to suppression of correct taxable income. The penalty imposed on the appellant for suppressing taxable income was upheld. The appeal was dismissed as there were no reasons to interfere with the impugned order.

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      ActsIncome Tax