PMLA anticipatory bail requires satisfaction of twin conditions, while predicate-offence protection does not extend to independent money-laundering pr...
School-affiliation charges remain taxable where not directly connected with examinations, while extended limitation requires proof of deliberate tax e...
ITAT remanded transfer pricing adjustments for reassessment regarding expense allocation and segmental reporting. Tribunal directed AO/TPO to verify assessee's allocation methodology consistent with AY 2021-22 practices and analyze internal CUP method for benchmarking book purchase transactions with AE. Examination to include comparison of AE discounts in controlled versus uncontrolled transactions. On trade payables enhancement issue, matter remitted to AO for verification of creditor confirmations and supporting documentation. Both grounds allowed for statistical purposes, with directive to provide assessee reasonable hearing opportunity during reassessment. AO to determine final position after examining additional evidence per legal requirements.
ITAT remanded transfer pricing adjustments for reassessment regarding expense allocation and segmental reporting. Tribunal directed AO/TPO to verify assessee's allocation methodology consistent with AY 2021-22 practices and analyze internal CUP method for benchmarking book purchase transactions with AE. Examination to include comparison of AE discounts in controlled versus uncontrolled transactions. On trade payables enhancement issue, matter remitted to AO for verification of creditor confirmations and supporting documentation. Both grounds allowed for statistical purposes, with directive to provide assessee reasonable hearing opportunity during reassessment. AO to determine final position after examining additional evidence per legal requirements.
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