Retroactive interim-moratorium exclusion permits protective asset disclosure and preservation measures against personal guarantors pending arbitration...
Business expenditure deduction requires proof of genuine commission payments and commercial allowability; turnover growth alone cannot validate the cl...
ITAT held that the AO failed to properly examine the exemption claim under section 10(38) for long-term capital gains. The tribunal found no evidence of adequate investigation or verification in the assessment order. Referencing SC precedent in Paville Project Pvt. Ltd, the tribunal determined the assessment order was prejudicial to revenue interests. The PCIT's revision under section 263 was justified, as the AO did not conduct requisite inquiries regarding the genuineness of capital gains exemption. Consequently, the tribunal upheld the PCIT's order and dismissed the assessee's appeal, mandating a comprehensive reassessment of the capital gains claim.
ITAT held that the AO failed to properly examine the exemption claim under section 10(38) for long-term capital gains. The tribunal found no evidence of adequate investigation or verification in the assessment order. Referencing SC precedent in Paville Project Pvt. Ltd, the tribunal determined the assessment order was prejudicial to revenue interests. The PCIT's revision under section 263 was justified, as the AO did not conduct requisite inquiries regarding the genuineness of capital gains exemption. Consequently, the tribunal upheld the PCIT's order and dismissed the assessee's appeal, mandating a comprehensive reassessment of the capital gains claim.
Note: It is a system-generated summary and is for quick reference only.