Employee stock-shortage penalties do not constitute consideration for services, preventing GST collection under Schedule II in employment relationship...
Transfer-pricing treatment of ITeS margins excludes pass-through tax recoveries and separate delayed-receivables interest after working-capital adjust...
Capacity-utilisation adjustments under TNMM can neutralise substantiated COVID-related idle costs where underutilisation materially affects profitabil...
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ITAT held that a one-time life-membership fee received by the assessee-trust is a capital receipt apportioned over 40 years under a long-standing accounting practice accepted by revenue; thus the fee constitutes a timing difference rather than current revenue. Relying on the principle that where tax rates across years remain constant no addition is warranted, ITAT rejected revenue's attempt to treat the entire fee as taxable in the year of receipt. The Assessing Officer is directed to exclude the apportioned corpus sum from computation of application of income for charitable purposes and to ignore the said amount when determining exemption under section 11.
ITAT held that a one-time life-membership fee received by the assessee-trust is a capital receipt apportioned over 40 years under a long-standing accounting practice accepted by revenue; thus the fee constitutes a timing difference rather than current revenue. Relying on the principle that where tax rates across years remain constant no addition is warranted, ITAT rejected revenue's attempt to treat the entire fee as taxable in the year of receipt. The Assessing Officer is directed to exclude the apportioned corpus sum from computation of application of income for charitable purposes and to ignore the said amount when determining exemption under section 11.
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