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News
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March 27, 2026
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WTO reform through transparent, inclusive member-driven process with development at the core and preserved foundational principles
India's participation in the 14th Ministerial Conference of the WTO centred on support for WTO reform through a transparent, inclusive and member-driven process that keeps development at its core. The position emphasised the need to preserve the WTO's foundational principles and objectives, including non-discrimination, consensus-based decision making and equity. Bilateral discussions also addressed the conference agenda and ways to strengthen trade relations.
March 27, 2026
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Grievance redress governance through CPGRAMS review meetings strengthens complaint resolution, transparency, compliance, and citizen-centric oversight.
DFS conducts periodic CPGRAMS review meetings with financial regulators, banks, insurers, institutions, and complainants to assess grievance resolution through a dip-stick survey at the senior-most level. The exercise reviews unsatisfied closed complaints, addresses systemic and pending issues, and uses citizen feedback to strengthen grievance redress, transparency, compliance, and preventive governance across banking, insurance, pension, and claim-related disputes.
March 27, 2026
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Official Development Assistance supports metro, healthcare and horticulture projects across India through Japan-backed loan agreements.
Japan has committed Official Development Assistance loans to India for four projects in urban transport, health and agriculture across Maharashtra, Karnataka and Punjab. The projects include Bengaluru Metro Rail Phase 3, Mumbai Metro Line 11, strengthening tertiary healthcare and medical education in Maharashtra, and promoting sustainable horticulture in Punjab. The assistance is channelled through loan agreements between the Government of India and JICA.
March 27, 2026
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Mutual Agreement Procedure application under treaty rules enables resident taxpayers to challenge inconsistent foreign tax actions.
Form No. 55 is the prescribed application by a resident assessee in India to invoke the Mutual Agreement Procedure where a foreign tax authority's action or order is considered inconsistent with the applicable Double Taxation Avoidance Agreement. The form is filed within the treaty time limit, usually within three years of first notification, and requires applicant details, foreign authority particulars, reasons for objection, supporting documents, and details of any remedy sought abroad. It may be submitted online or offline, must be e-verified, and cannot be withdrawn.
March 27, 2026
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Double taxation relief through mutual agreement procedure begins with Form No. 55 for resident assessees.
Form No. 55 is an application by a resident assessee in India to the Competent Authority of India when a foreign tax authority's action or order is considered inconsistent with the applicable Double Taxation Avoidance Agreement. It is used to seek resolution under the Mutual Agreement Procedure, generally within the treaty time limit, and may be filed online or through the offline utility with supporting documents and verification by DSC or EVC. The form cannot be withdrawn after filing.
March 27, 2026
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Advance Pricing Agreement renewal form streamlines repeated transfer pricing filings and reduces compliance burden for similar transactions.
Form 54 is a renewal mechanism for an Advance Pricing Agreement application, intended for applicants who have already signed an APA or previously filed a pending APA application involving the same or substantially similar transactions. It reduces duplication and compliance burden, supports continuing or comparable international transactions, and may also cover rollback requests. The form is filed electronically by an eligible person and requires disclosures on the applicant's profile, covered transactions, rollback details, prior filings, and transfer pricing methodology.
March 27, 2026
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Windfall tax on diesel and ATF to be reviewed fortnightly as duties aim to secure domestic fuel supply.
Special additional excise duty and export duties were imposed on diesel and aviation turbine fuel to discourage exports and secure adequate domestic supply. The windfall levy will be reviewed on a fortnightly basis, reflecting a dynamic adjustment mechanism linked to supply conditions and market developments. The duty changes were announced alongside a reduction in excise duty on petrol and diesel for domestic consumption to moderate price pressures and reduce underrecoveries for oil marketing companies.
March 27, 2026
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Excise duty reduction on petrol and diesel triggers fiscal relief for oil companies amid unchanged retail pump prices.
Excise duty on petrol and diesel was reduced by notification with immediate effect, cutting the levy on petrol and removing the duty on diesel. The change was described as a reduction in the special additional excise duty component paid by oil marketing companies, while retail pump prices for consumers were reported to remain unchanged at the time of the announcement. The measure was reported to provide some fiscal relief to oil companies amid higher input costs, though political criticism said it did not translate into direct consumer relief.
March 27, 2026
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Advance pricing agreement renewal form streamlines repeated filings, reduces compliance burden, and supports rollback requests online.
Form 54 is an optional renewal application for taxpayers who have already entered into, or previously applied for, an advance pricing agreement involving the same or highly similar international transactions with an associated enterprise. It is intended to avoid duplication, reduce compliance burden, and streamline the renewal route, including rollback requests where eligible. The form must be filed online, once a year, with the prescribed documents, proof of payment, and a valid PAN, and it cannot be edited after submission and acknowledgment.
March 27, 2026
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Minimum alternate tax relief form enables recomputation of book profits for APA and secondary adjustment income.
Form 53 is the prescribed electronic application for claiming relief in minimum alternate tax payable where a taxpayer's book profits for a financial year increase because of income relating to past years brought in on account of an Advance Pricing Agreement or a secondary adjustment. Relief is available only where the taxpayer has not previously utilised MAT credit allowed under the Act, and no interest is payable on any refund arising from the relief mechanism. The form requires disclosure of past income and the prescribed computation, and it must be verified by the authorised person.
March 27, 2026
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Excise duty cuts on petrol and diesel aim to stabilise fuel prices and ease consumer burden.
Excise duty on petrol and diesel has been reduced to moderate domestic fuel prices and shield consumers from the impact of rising global crude oil prices. The special additional excise duty on petrol has been cut from Rs 13 per litre to Rs 3 per litre, while the corresponding duty on diesel has been reduced from Rs 10 per litre to nil. Duties have also been reintroduced on the export of diesel and aviation turbine fuel to support oil marketing companies and mitigate external market volatility.
March 27, 2026
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Excise duty reduction on petrol and diesel eases fuel price pressure while export duties curb domestic supply diversion.
Excise duty on petrol and diesel was reduced to offset the impact of sharply rising global crude prices and to prevent an immediate increase in retail fuel prices. The reduction lowered the special additional excise duty on petrol and removed the corresponding levy on diesel, while the overall incidence of excise on both fuels was recalibrated through the existing duty structure. The measure was presented as a fiscal intervention to ease under-recoveries of oil marketing companies and to protect consumers from supply-driven price pressure.
March 27, 2026
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Minimum alternate tax relief through Form 53 applies to APA and secondary adjustment cases with recomputation of book profits.
Form 53 is the prescribed application for taxpayers affected by secondary adjustments or APA-related adjustments for past years to seek recomputation of book profits and minimum alternate tax liability. It is mandatory where book profit increases in a financial year because income of past year(s) is included pursuant to an Advance Pricing Agreement or a secondary adjustment. The form must be filed by the due date for the return, can be filed once a year, requires no specific supporting documents, cannot be edited after acknowledgment, and cannot be submitted without a valid PAN.
March 27, 2026
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Advance Pricing Agreement compliance reporting requires annual filing of Form 52 with adjustments, critical assumptions, and supporting documentation.
Form 52 is an Annual Compliance Report for taxpayers covered by a unilateral, bilateral, or multilateral Advance Pricing Agreement. It requires annual confirmation that the APA methodology, critical assumptions, and agreed terms and conditions have been complied with, together with tabular computation of any adjustment where actual results differ from the APA. The form also requires disclosure of deviations, supporting documentation, and filing within the prescribed time under Rule 113 of the Income-tax Rules, 2026.
March 27, 2026
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Advance Pricing Agreement compliance reporting under Form 52 requires annual online filing with supporting transfer pricing documentation.
Form 52 is the annual compliance report for Advance Pricing Agreements under the Income-tax Act, 2025. It is mandatory for taxpayers with unilateral, bilateral, or multilateral APAs, and must be filed once a year for each year covered by the agreement. The report is filed online through the Income Tax e-Filing portal, cannot be edited after submission, and must be supported by APA documents explaining transfer pricing methodology, arm's length price computation, and compliance with critical assumptions.
March 27, 2026
Show AI Summary
Advance Pricing Agreement application form streamlines transfer pricing disclosures, rollback requests, and electronic filing requirements
Form 51 is the application form for an Advance Pricing Agreement under the Income-tax framework and is used for both forward-looking APA requests and rollback requests where permitted. It consolidates the earlier separate application formats and is filed electronically under the prescribed rules to the competent tax authority. The form requires extensive disclosure on the applicant, associated enterprise, covered transactions, business structure, financials, transfer pricing background, relevant agreements, and transfer pricing methodology.
March 27, 2026
Show AI Summary
Advance Pricing Agreement filing form streamlines transfer pricing applications, rollback requests, and online compliance requirements.
Form 51 is the prescribed application for an Advance Pricing Agreement under the Income-tax Act, 2025, covering international transactions and specified domestic transactions for a specified period. It may be filed by a person who has entered into, or is contemplating entering into, international transactions with an associated enterprise, including eligible rollback applicants. The form must be filed online, with a valid PAN and proof of payment, and cannot be edited after submission and acknowledgment, except through the prescribed defect or amendment procedure. Supporting documents include financial statements and relevant inter-company agreements.
March 27, 2026
Show AI Summary
Advance Pricing Agreement pre-filing consultation form streamlines transfer pricing discussions, electronic filing, and anonymous representation options.
Form FN050 is the income-tax application for a pre-filing consultation in relation to an Advance Pricing Agreement, allowing an eligible person to discuss the proposed transfer pricing methodology for international transactions before formal APA filing. The form requires details of the applicant, the type of APA proposed, the transactions to be covered, and the relevant tax years, with annexures covering group structure, business model, functional profile, transfer pricing audit history, and other international transactions. It is filed electronically, assigned to an APA team, and taken up for consultation, with the Indian competent authority associated in bilateral or multilateral cases.
March 27, 2026
Show AI Summary
Advance Pricing Agreement pre-filing meeting form guides optional online application for transfer pricing discussions.
Form 50 is the prescribed income-tax application for requesting a pre-filing meeting in connection with an Advance Pricing Agreement under the transfer pricing framework. It is optional and available to a taxpayer intending to enter into an APA, enabling the taxpayer to place its proposed transfer pricing methodology before the tax authority before making a formal APA application. The form may be filed before undertaking the international transaction, only once in a year, and online only through the Income Tax e-Filing portal.
March 27, 2026
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RERA enforcement and insolvency accountability need overhaul to protect homebuyers from stalled projects and blocked ownership.
Stricter enforcement of RERA and insolvency law is sought to address homebuyers left without possession or legal title despite paying builders in full. The proposed reform emphasis includes attachment of a builder's personal assets on declaration of insolvency and the imposition of strict punishment after proper investigation. Concern is also expressed that delays within RERA allow default disputes to continue indefinitely, defeating the purpose of the regulatory regime.

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Corp. Laws / SEBI / IBC

SBI-led secured lenders move SC for claims from Rs 5,100 cr deposited by Sterling Biotech

March 18, 2026

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New Delhi, Mar 18 (PTI) A consortium of secured lenders including banks of Sterling Biotech Ltd of promoters Chetan and Nitin Sandesara has moved the Supreme Court for disbursal of their claim amounts from Rs 5,100 crore deposited in the apex court registry while highlighting their total outstanding against the Group companies was at Rs 19,283.77 crore.

A bench of Justices J K Maheshwari and A S Chandurkar, which on Monday took on record the joint application filed by the consortium led by the State Bank of India and while asking it to be served to Solicitor General Tushar Mehta, listed the matter for further hearing on March 23.

The banks placed on record a consolidated computation of claims across multiple Group entities and setting out the methodology adopted for the distribution of the amount.

"The applicants are the Secured Lenders of M/s. Sterling Biotech Ltd. and its Group Companies and are jointly filing the present application seeking directions for disbursal of their respective claim amounts, which stand deposited with the Registry of this court by the petitioners, in terms of the order/directions dated November 19, 2025 passed by this court," it said.

The application stated that the claims relate to exposures across 10 companies of the Sterling group, including Sterling Biotech Ltd, Sterling Oil Resources Ltd, Sterling SEZ Ltd and other domestic and overseas entities.

The lenders further stated that the claims were consolidated following a series of joint meetings, where a uniform formula was agreed upon for calculating total dues and apportioning the deposited amount.

"That joint meetings were held between the secured lender banks regarding the distribution of the claims. On January 29, 2026, in the meeting held between the secured lender banks of the group companies, it was decided to finalise the manner of submitting claims and the process of distribution of the amount of Rs 5,100 crore to the respective Secured Lender Banks on a proportionate basis in reference to the amount due to them…," it said.

According to the application, the lenders decided to aggregate all domestic and foreign currency exposures, convert foreign loans into rupees at a fixed exchange rate of Rs 63 per US dollar — reflecting the average rate in 2015 when most accounts turned non-performing — and apply a uniform interest rate of nine per cent per annum from the date of NPA, with annual rests.

Amounts already recovered through insolvency proceedings were adjusted before arriving at the final outstanding figure.

The banks further told the court that after applying this methodology, the total admitted dues across all accounts were computed at Rs 19,283.77 crore, and the Rs 5,100 crore deposited pursuant to the court's earlier order is proposed to be distributed proportionately based on each lender's share in the total dues.

Giving an example, the application stated that if the total dues of all the accounts of group companies are Rs 10,000 crore with all the banks and one company has Rs 1,000 crore dues, then this company will get a 10 per cent share in Rs 5,100 crore.

The application includes a detailed chart of individual bank exposures and their corresponding share in the distribution pool.

According to the figures placed before the court, the SBI has claimed Rs 2,664.72 crore and is set to receive Rs 695.03 crore, while UCO Bank has claimed Rs 2,980.10 crore and is to receive Rs 777.28 crore.

Further, Union Bank of India's dues of Rs 2,499.64 crore correspond to a proposed recovery of Rs 651.97 crore, and Bank of India's claim of Rs 2,235.65 crore translates to Rs 583.11 crore from the deposit.

Among other lenders, Punjab National Bank has claimed Rs 1,988.04 crore and is to receive Rs 518.53 crore, Indian Bank Rs 1,750.40 crore with a proposed share of Rs 456.55 crore, and Bank of Baroda Rs 1,581.98 crore with a corresponding allocation of Rs 482.92 crore. Indian Overseas Bank, which has computed its dues at Rs 1,257.36 crore, is set to receive Rs 327.95 crore. A similar formula was adopted for smaller exposure of funds by banks.

The banks told the bench, "It is reiterated that the aforesaid process and the methodology of distribution and the respective share of each secured lender bank have been arrived at with the consensus of the secured lenders. All the Secured lenders of SBL Group of Companies as mentioned… have accepted the said share." The application, however, states that a few lenders are yet to formally confirm their acceptance, although their dues have been computed on the same basis.

The consortium has sought the court's approval to disburse the Rs 5,100 crore in accordance with this agreed formula, with payments to be made to the respective bank accounts as detailed in the application.

On November 19 last year, the top court accepted a settlement proposal under which the Sandesara brothers agreed to deposit Rs 5,100 crore as a full and final settlement of claims arising from these proceedings.

The amount was subsequently deposited in the court registry in December 2025, following which the court gave effect to its earlier order for quashing of proceedings.

The legal dispute arose from a batch of petitions filed by the Sandesara brothers seeking quashing of multiple proceedings, including FIRs registered by the CBI, ED, cases registered under the Fugitive Economic Offenders Act, the Companies Act and the Black Money Act. PTI MNL SJK MNL KSS KSS

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