Transfer-pricing treatment of ITeS margins excludes pass-through tax recoveries and separate delayed-receivables interest after working-capital adjust...
Capacity-utilisation adjustments under TNMM can neutralise substantiated COVID-related idle costs where underutilisation materially affects profitabil...
TNMM functional comparability requires excluding rice manufacturers from a pure Basmati rice trader's benchmark and recognising operating export recei...
Working-capital adjustment subsumes delayed-receivable effects in TNMM benchmarking of captive software-development services, avoiding separate notion...
Transfer-pricing comparability requires exclusion of financially illogical super-profit comparables and correction of unsupported annual-report and ma...
Charitable character assessment preserves Section 80G approval despite inclusive spiritual teachings and incidental religious expenditure within the s...
Penalty proceedings for cash-loan acceptance require assessment proceedings and recorded Assessing Officer satisfaction; absent these, the proceedings...
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Derivatives are a distinct asset class from equity shares, and gains from trading in index-based derivatives cannot be treated as gains from alienation of shares. The Tribunal relied on the statutory distinction between shares and derivatives, including the separate treatment in the securities law framework and section 43(5), to hold that Article 13(3A) of the India-Mauritius DTAA applies only to share alienation. As the transactions fell outside that provision, the residual Article 13(4) applied and the short-term capital gains were taxable only in the State of residence. The addition made by taxing the gains under Article 13(3A) was deleted.
Derivatives are a distinct asset class from equity shares, and gains from trading in index-based derivatives cannot be treated as gains from alienation of shares. The Tribunal relied on the statutory distinction between shares and derivatives, including the separate treatment in the securities law framework and section 43(5), to hold that Article 13(3A) of the India-Mauritius DTAA applies only to share alienation. As the transactions fell outside that provision, the residual Article 13(4) applied and the short-term capital gains were taxable only in the State of residence. The addition made by taxing the gains under Article 13(3A) was deleted.
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