Transfer-pricing methodology protects commercially genuine associated-enterprise payments, while pre-2016 secondary adjustments and related notional i...
Negative liens over operating assets can constitute international transactions requiring arm's-length pricing reflecting restricted borrowing and expa...
Cross-examination rights in Customs Broker revocation inquiries require witness examination; procedural denial may be cured through fresh adjudication...
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...
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ITAT held that the LD CIT(A)/NFAC erred in dismissing the assessee's appeal for non-payment of advance tax where the statutory prerequisites under ss. 208 and 209 and condition in s. 249(4)(b) were not properly applied; the Tribunal found the denial of admission on that basis improper. Without adjudicating merits, ITAT set aside the LD CIT(A)/NFAC order and remitted the matter to LD CIT(A)/NFAC with directions to admit the appeal, afford the assessee a reasonable opportunity of hearing, and decide the matter on merits in accordance with law.
ITAT held that the LD CIT(A)/NFAC erred in dismissing the assessee's appeal for non-payment of advance tax where the statutory prerequisites under ss. 208 and 209 and condition in s. 249(4)(b) were not properly applied; the Tribunal found the denial of admission on that basis improper. Without adjudicating merits, ITAT set aside the LD CIT(A)/NFAC order and remitted the matter to LD CIT(A)/NFAC with directions to admit the appeal, afford the assessee a reasonable opportunity of hearing, and decide the matter on merits in accordance with law.
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