Concessional corporate tax option under section 115BAA survives procedural documentary lapses when statutory compliance and earlier exercise are estab...
Penny-stock additions require transaction-specific evidence; general investigation material alone cannot establish undisclosed income or accommodation...
Transfer pricing comparability prioritises reliable external CUPs and foreign-currency LIBOR benchmarks for exports, borrowings and delayed receivable...
Section 153C satisfaction and seized electronic records sustained unexplained-investment addition, subject to proportionate ownership-share verificati...
ITAT held that the AO lacked jurisdiction to add back a transfer-pricing adjustment to book profits under section 115JB beyond the limited adjustments expressly permitted by the Explanation to that section; absent findings that the profit and loss account was not prepared in accordance with the Companies Act or that incorrect accounting policies, standards or depreciation methods were adopted, the AO cannot go behind the net profit shown in the accounts. The appeal was allowed: the AO is directed to exclude any transfer-pricing adjustment, if it survives, from the computation of book profits under section 115JB.
ITAT held that the AO lacked jurisdiction to add back a transfer-pricing adjustment to book profits under section 115JB beyond the limited adjustments expressly permitted by the Explanation to that section; absent findings that the profit and loss account was not prepared in accordance with the Companies Act or that incorrect accounting policies, standards or depreciation methods were adopted, the AO cannot go behind the net profit shown in the accounts. The appeal was allowed: the AO is directed to exclude any transfer-pricing adjustment, if it survives, from the computation of book profits under section 115JB.
Note: It is a system-generated summary and is for quick reference only.