Capital-gains exemption for charitable trusts extends to qualifying fixed deposits, while unrecoverable TDS write-offs may constitute income applicati...
India-UK treaty characterisation of telecom-service receipts as business profits withstands unilateral domestic-law amendments for Indian tax purposes...
Transfer-pricing reimbursement adjustments require uncontrolled comparables and cannot become expense-genuineness reviews, resulting in deletion of th...
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The assessee's investment in film financing business was examined based on seized documents and statements recorded during the search operation. The explanation that the assessee acted as a middleman/agent arranging finance for film producers through lenders was accepted as bonafide, considering the nature of the unorganized film financing sector. A 5% net profit margin on the total loans facilitated was determined as reasonable income, after allowing 1% deduction for expenditure. The addition for a gift received from the brother-in-law was upheld for one year due to lack of evidence establishing the relationship and creditworthiness of the donor. However, for another year, the gift was accepted based on confirmation, bank statements, and the identity of the donor being established, despite the lack of relationship proof. The unexplained cash found during the search was partially accepted, with the remaining unexplained portion added to income. The jewellery investment was directed to be deleted as an addition, considering the quantity fell within prescribed limits and the assessee explained the known sources.
The assessee's investment in film financing business was examined based on seized documents and statements recorded during the search operation. The explanation that the assessee acted as a middleman/agent arranging finance for film producers through lenders was accepted as bonafide, considering the nature of the unorganized film financing sector. A 5% net profit margin on the total loans facilitated was determined as reasonable income, after allowing 1% deduction for expenditure. The addition for a gift received from the brother-in-law was upheld for one year due to lack of evidence establishing the relationship and creditworthiness of the donor. However, for another year, the gift was accepted based on confirmation, bank statements, and the identity of the donor being established, despite the lack of relationship proof. The unexplained cash found during the search was partially accepted, with the remaining unexplained portion added to income. The jewellery investment was directed to be deleted as an addition, considering the quantity fell within prescribed limits and the assessee explained the known sources.
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