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 dismissed the Revenue's appeal and partly allowed the assessee's cross-objection. Applying TNMM, the Tribunal upheld CIT(A)'s exclusion of four large-turnover comparables as non-comparable with the assessee's small captive software/ITES segment, and directed exclusion of ICRA Techno Analytics on RPT grounds. The Tribunal held provisions for bad and doubtful debts are operating expenses and ordered margin adjustments of comparables accordingly. The AO's additional disallowance of tax provisions/MAT credit was found to cause double disallowance; AO was directed to commence income computation from profit before tax, thereby deleting the impugned disallowance. Case remitted for compliance with these directions.
ITAT dismissed the Revenue's appeal and partly allowed the assessee's cross-objection. Applying TNMM, the Tribunal upheld CIT(A)'s exclusion of four large-turnover comparables as non-comparable with the assessee's small captive software/ITES segment, and directed exclusion of ICRA Techno Analytics on RPT grounds. The Tribunal held provisions for bad and doubtful debts are operating expenses and ordered margin adjustments of comparables accordingly. The AO's additional disallowance of tax provisions/MAT credit was found to cause double disallowance; AO was directed to commence income computation from profit before tax, thereby deleting the impugned disallowance. Case remitted for compliance with these directions.
Note: It is a system-generated summary and is for quick reference only.