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    CSR donations can still qualify for section 80G relief; receivables adjustment and other issues were remanded.
    Transfer pricing comparables and adjustments: Tribunal revisits loss-maker status, segmental comparability, working capital relief, and risk allocatio...
    TNMM accepted for intra-group services and SAP costs, while provident fund disallowance under employee contribution was sustained.
    Section 43CA does not cover TDR transfers, as development rights are not land or building; addition deleted.
    Stock-in-trade land sale cannot attract section 50C where the transaction is already accepted as business income.
    Business expenditure disallowance failed where commission, related-party salary and promotion payments were supported by records and inquiry was inade...
    Retrospective omission of specified domestic transaction provision invalidated transfer pricing adjustment and confirmed SEZ deduction eligibility.
    Statutory exemption for Agricultural Produce Marketing Committee income cannot be denied because of an incorrect PAN status entry.
    Amalgamation bars continuation of tax deductions under sections 80IA and 80JJAA when business is transferred by reorganisation.
    Article 8 India-France DTAA: collection charges taxable, while technical handling income, interest and commission stayed within treaty protection.
    Alternate remedy bars customs writs; non-communication of time extension under Section 28(9) was not fatal.
    Preferential duty benefit under a free trade agreement cannot rest on a superseded public notice; reassessment ordered.
    DIN compliance in departmental orders is mandatory; an order issued without it was set aside and remanded.
    Strict construction of customs exemption and prospective IGST interest levy shape duty, classification, and penalty relief.
    Declared value, re-assessment, and confiscation principles: Tribunal upholds value redetermination but rejects section 28 recovery and penalty.
    Cross-examination and corroboration are essential before penalty for alleged smuggling facilitation can be sustained.
    Mistake apparent from record was not shown in provisional release conditions; rectification was refused, with clarification left open.
    Res judicata and continuing liquidation justified retention of premises; no summary order could compel surrender of tenancy rights.
    Resolution plan verification powers rest with the resolution professional; admitted homebuyer claims could not be reopened belatedly.
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Default was proved only for the overdue quarterly interest...

Project-specific insolvency and debenture default were confined to the charged real estate project, not the debtor's other projects.

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IBC March 31, 2026 Case Laws AT
Default was proved only for the overdue quarterly interest demanded in the cure notice, not for the full debenture principal, because the principal became payable only on 30.06.2024 and no further redemption demand was issued before the Section 7 filing; later payments did not erase the subsisting default on the filing date. The view that real estate insolvency can never be project-wise was rejected as contrary to binding precedent, and the process was required to proceed on a project-specific basis unless circumstances justify otherwise. On construction of the debenture trust deed, the financing and security package were held to be tied to Project Aspirations on the identified land, so the CIRP was confined to that project and not extended to the debtor's other projects.

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Acts Income Tax