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...
Employee stock-shortage penalties do not constitute consideration for services, preventing GST collection under Schedule II in employment relationship...
ITAT partly allowed assessee's appeal. For capital gains on sale of flats under JDA, Tribunal held that cost of acquisition must be computed with reference to saleable/built-up area, determining land cost at Rs. 95.26 per sq.ft, and rejected reduction by claimed STCG exemption. For sale of one villa, applying s.50C third proviso, it directed AO to adopt actual consideration of Rs. 2,18,29,631 instead of stamp value. Full exemption u/s 54 was allowed, deleting disallowance of Rs. 3,87,726, as 95% of construction costs were evidenced and remaining expenses were reasonably incurred. Notional rent addition on two unsold villas was deleted, property being vacant due to pandemic. Capital gain on land transferred under JDA was confirmed as short-term.
ITAT partly allowed assessee's appeal. For capital gains on sale of flats under JDA, Tribunal held that cost of acquisition must be computed with reference to saleable/built-up area, determining land cost at Rs. 95.26 per sq.ft, and rejected reduction by claimed STCG exemption. For sale of one villa, applying s.50C third proviso, it directed AO to adopt actual consideration of Rs. 2,18,29,631 instead of stamp value. Full exemption u/s 54 was allowed, deleting disallowance of Rs. 3,87,726, as 95% of construction costs were evidenced and remaining expenses were reasonably incurred. Notional rent addition on two unsold villas was deleted, property being vacant due to pandemic. Capital gain on land transferred under JDA was confirmed as short-term.
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