Drawings/designs supply and erection supervision fees from German contractor: designs non-taxable; supervision taxed as FTS/PE depending on six-month ...
Imported analyser diagnostic cartridges treated as accessories with analyser system, not standalone diagnostic reagents; extended limitation and penal...
Steel-timber construction shuttering/formwork tariff classification dispute: essential character held steel, classified as shuttering under Heading 73...
HC held that assessment u/s 153A cannot be sustained in absence of incriminating material unearthed during search u/s 132. The "base note" of a foreign bank, obtained post-search and not recovered in the course of search, could not constitute incriminating material to justify reassessment, particularly when original assessments were completed. Evidence, including confirmation from HSBC Bank (Suisse) SA Geneva, established that the assessee had no nexus with the foreign bank accounts, which belonged to group entities. In the absence of a clear, unimpeachable link between the assessee and the accounts, the additions were unjustified. Assessee's appeal was allowed.
HC held that assessment u/s 153A cannot be sustained in absence of incriminating material unearthed during search u/s 132. The "base note" of a foreign bank, obtained post-search and not recovered in the course of search, could not constitute incriminating material to justify reassessment, particularly when original assessments were completed. Evidence, including confirmation from HSBC Bank (Suisse) SA Geneva, established that the assessee had no nexus with the foreign bank accounts, which belonged to group entities. In the absence of a clear, unimpeachable link between the assessee and the accounts, the additions were unjustified. Assessee's appeal was allowed.
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