Governmental authority status supports construction-service exemption, while pre-cutoff contract and stamp-duty compliance requires verification on re...
Automated Free Sale and Commerce Certificates enable paperless processing while retaining risk-based manual verification for selected exporter applica...
Employee stock-shortage penalties do not constitute consideration for services, preventing GST collection under Schedule II in employment relationship...
ITAT directed exclusion of several comparables for transfer pricing adjustments in software development services (Infosys Ltd, Persistent Systems Ltd, Tata Elexi Ltd, Bodhtree Consulting Ltd) and ITeS (Eclerx Services Ltd, Cosmic Global Ltd, Accentia Technologies Ltd, Infosys BPO Ltd) due to functional differences and lack of segmental information. The Tribunal allowed deductions under s.10A for UB Plaza Unit, Titanium STPI Unit, and the unit acquired from Reuters India, following previous favorable decisions. The issue of depreciation on goodwill was restored to AO for de novo adjudication. ITAT upheld DRP's direction to exclude communication and travel expenses from both export and total turnover while computing s.10A deduction, following HCL Technologies Ltd precedent, and affirmed deletion of software disallowance under s.40(a)(ia) per Tally Solutions ruling.
ITAT directed exclusion of several comparables for transfer pricing adjustments in software development services (Infosys Ltd, Persistent Systems Ltd, Tata Elexi Ltd, Bodhtree Consulting Ltd) and ITeS (Eclerx Services Ltd, Cosmic Global Ltd, Accentia Technologies Ltd, Infosys BPO Ltd) due to functional differences and lack of segmental information. The Tribunal allowed deductions under s.10A for UB Plaza Unit, Titanium STPI Unit, and the unit acquired from Reuters India, following previous favorable decisions. The issue of depreciation on goodwill was restored to AO for de novo adjudication. ITAT upheld DRP's direction to exclude communication and travel expenses from both export and total turnover while computing s.10A deduction, following HCL Technologies Ltd precedent, and affirmed deletion of software disallowance under s.40(a)(ia) per Tally Solutions ruling.
Note: It is a system-generated summary and is for quick reference only.