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March 28, 2026
Show AI Summary
Alternate Minimum Tax compliance through Form 67 requires CA certification, electronic filing, and timely submission with the return.
Form 67 is prescribed for furnishing details relating to the computation of Adjusted Total Income and Alternate Minimum Tax (AMT) under section 206(2) of the Income-tax Act, 2025. It applies to persons other than companies, subject to stated exceptions, and is not required for certain specified taxpayers where adjusted total income does not exceed twenty lakh rupees. The form is used to determine AMT on adjusted total income, with tax payable at the higher of the regular tax or AMT, and it incorporates adjustments such as depreciation and other specified items.
March 28, 2026
Show AI Summary
Minimum Alternate Tax reporting through Form 66 demands Chartered Accountant certification, digital filing, and return-linked book profit verification.
Companies liable to Minimum Alternate Tax must furnish Form 66, a Chartered Accountant-certified report on book profit and MAT computation, annually with the income tax return. The form is digitally signed, accepted by the company through the e-filing portal, and linked to the return for processing. It contains company particulars, profit adjustments, transition amount, final MAT computation, auditor certification, and supporting financial and tax documents.
March 27, 2026
Show AI Summary
Access to unrelied ED documents denied at pre-cognisance stage in an ongoing money-laundering investigation.
Access to documents seized by the Enforcement Directorate but not relied upon in the chargesheet was refused at the pre-cognisance stage in an ongoing Prevention of Money Laundering Act matter. The court held that the accused had already been supplied with the prosecution complaint and relied-upon documents, and that disclosure of unrelied material was not required before cognisance when the investigation remained pending.
March 27, 2026
Show AI Summary
Trade agreement framework balances market access with farmer safeguards, calibrated tariff concessions, and export opportunities across key sectors.
India and the United States have agreed on a framework for an interim trade agreement intended to expand reciprocal and mutually beneficial trade while protecting domestic sensitivities, particularly in agriculture and dairy. The framework contemplates improved market access, rules of origin, action on non-tariff barriers, and cooperation on standards, digital trade, economic security, technology, supply chain resilience, energy and manufacturing. Limited and calibrated tariff concessions have been offered on select agricultural products through quota-based mechanisms, phased concessions and partial duty reductions, with the quotas kept within existing import levels to avoid adverse impact on domestic farmers.
March 27, 2026
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Rupee weakness deepens as higher crude prices, dollar strength and foreign selling weigh on currency and reserves.
The rupee weakened sharply to a historic low against the US dollar amid sustained pressure from higher crude oil prices, a stronger greenback, foreign investor selling, and energy-led inflation concerns. India's foreign exchange reserves also declined during the reporting week, driven by a fall in gold reserves. The government indicated plans to mobilise substantial borrowing through dated securities in the April-September period, while noting a reduction in gross market borrowing after G-Sec switches.
March 27, 2026
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Government borrowing calendar set for dated securities, green bonds, retail bidding and flexible issuance management.
The Centre plans to raise gross market borrowings through dated securities in the first half of FY 2026-27 to finance the fiscal deficit, with borrowing spread across weekly auctions and multiple maturities. The borrowing calendar includes sovereign green bonds, non-competitive bidding for specified retail investors, and flexibility to modify issuance amounts, maturities, instruments and timing in consultation with the Reserve Bank of India, depending on funding needs and market conditions.
March 27, 2026
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Bilateral trade agreement negotiations advance as India and the US discuss WTO issues, tariffs, and next steps in talks.
India and the United States continued discussions on the next steps in the bilateral trade agreement negotiations, covering the WTO agenda, the India-US BTA, and ways to deepen bilateral economic cooperation and trade ties. A framework for the first phase has been finalised, but the legal text remains unsigned, and the chief negotiators' meeting was postponed because of changes in the US tariff architecture and the need to await the revised global tariff framework before the interim trade agreement is signed.
March 27, 2026
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Energy supply stability assured as government rules out lockdown, citing adequate fuel stocks and anti-hoarding measures.
The government ruled out any lockdown and said India has adequate stocks of petrol, diesel and LPG, with fuel retail operations continuing normally despite energy supply disruptions linked to the war in West Asia. Officials said rumours have caused panic buying, while alternative sourcing, higher domestic LPG production, excise duty cuts, export levies, export diversion directions and intensified anti-hoarding enforcement are being used to stabilise supplies and protect consumers.
March 27, 2026
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Excise duty cut on petrol and diesel aims to shield consumers from global fuel price volatility.
The Union Government reduced excise duty on petrol and diesel by Rs 10 per litre to prevent a retail price increase caused by rising global oil prices. The move was described as a people-centric measure intended to shield consumers from fuel price volatility and wider shortages linked to global instability.
March 27, 2026
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State borrowing costs harden as bond yields rise, forcing partial bids and higher returns in volatile fixed-income markets.
States' borrowing costs hardened in a State Development Loan auction as cut-off yields rose across long-term maturities, with several securities moving above 8 per cent. The increase tracked a broader rise in government bond yields amid global oil price pressures, inflationary concerns and weakness in the rupee, causing some states to accept only partial borrowing amounts or reject bids. The report notes that higher bond yields may keep borrowing costs elevated and increase volatility in fixed-income markets.
March 27, 2026
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Money laundering proceedings over bank loan fraud allegations include diversion of proceeds through offshore entities and property transactions.
Money laundering proceedings under the Prevention of Money Laundering Act concern a former senior executive of Reliance Communications and another accused in an alleged bank loan fraud case. The allegations include concealment, layering and diversion of proceeds of crime through foreign subsidiaries and offshore entities, purchase and sale of a Manhattan condominium during the insolvency process, and routing of sale proceeds through an asserted sham investment arrangement. The allegations also include personal diversion of funds for overseas education-related payments.
March 27, 2026
Show AI Summary
Minimum alternate tax and book profit reporting through Form 66, with CA certification, exemptions, and MAT credit rules.
Form No. 66 is the prescribed electronic statement for furnishing details of book profit and minimum alternate tax under section 206(1) of the Income-tax Act, 2025. It applies to companies where normal tax is lower than the minimum tax, must be filed along with the return of income, and requires certification by an Accountant/Chartered Accountant. The FAQ explains book-profit adjustments, MAT credit, exemptions, Ind-AS transition amounts, and the consequences of incorrect or missing filing.
March 27, 2026
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Patent box regime filing through Form 65 enables eligible resident assessees to opt for concessional royalty taxation.
Form 65 is the prescribed application for an eligible resident assessee to exercise the option under Section 194(1) of the Income-tax Act, 2025 for royalty income from a patent developed and registered in India. It relates to the concessional 10% tax rate under the patent box regime and requires the assessee to forgo deductions or allowances against such royalty income. The form is filed electronically by the return-filing due date, with patent details, royalty particulars, expenditure information and verification requirements.
March 27, 2026
Show AI Summary
Concessional royalty taxation under Form 65 requires resident eligibility, electronic filing, and a five-year lock-in period.
Form 65 is the prescribed income-tax application by which a resident assessee opts for concessional taxation on royalty income from a patent developed and registered in India. The form enables taxation at a flat 10% rate on gross royalty, with surcharge and cess, subject to conditions including denial of deductions, Indian patent registration, and development in India. The option must be filed electronically by the return due date, cannot be revised or withdrawn for that year, and carries a five-tax-year lock-in.
March 27, 2026
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Tax deduction verification through Form 61 requires e-filing, irrevocable authorisation, and proof of transmission to the financial institution.
Form No. 61 is an irrevocable authorisation enabling tax authorities to obtain information and records from a financial institution in a Notified Jurisdictional Area for verifying deduction claims on payments made to that institution. It is filed once for the tax year before the income-tax return due date, through the e-filing portal, with details of the institution, payment, supporting documents, and proof that the first copy has been deposited or transmitted. The assessee must send the first copy to the institution and submit the second copy with proof to the Assessing Officer.
March 27, 2026
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Notified jurisdictional area disclosures: Form 61 authorisation enables tax authorities to access financial records for deduction verification.
Form No. 61 is an irrevocable authorisation enabling the Central Board of Direct Taxes and designated income-tax authorities to obtain information and records from a financial institution located in a notified jurisdictional area for the purpose of claiming deduction in respect of payments made to such institution. The form must be filed once for the relevant tax year before the due date for filing the income-tax return, through the e-filing portal, and verified by DSC or EVC as applicable. The assessee must submit the first copy to the financial institution and the second copy with proof to the Assessing Officer, while waiving privacy, data protection and banking secrecy protections.
March 27, 2026
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Excise duty reduction and export duty hike reshape fuel pricing to ease under-recoveries and protect domestic supply.
Excise duty on petrol and diesel has been reduced, while export duty on diesel and aviation turbine fuel has been increased, to address under-recoveries of oil marketing companies, support domestic fuel availability, and limit consumer price pressure amid volatility in global oil markets. The revised rates are stated to operate on a fortnightly review basis, with the policy rationale emphasising energy security, domestic supply prioritisation, and response to disrupted international crude and product markets.
March 27, 2026
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International group reporting designation requires Form No. 60 for appointing the entity that files the Country-by-Country Report.
Form No. 60 is the intimation to be furnished on behalf of an international group having multiple constituent entities resident in India for designating a single constituent entity to file the Country-by-Country Report in Form No. 59. The form requires particulars of the international group, the parent entity, the designated constituent entity, and the other constituent entities resident in India, including name, address and PAN details. It is to be filed as an e-form through the income tax e-filing portal, at least 30 days before the due date for Form No. 59, followed by preview and e-verification before submission.
March 27, 2026
Show AI Summary
Country-by-Country reporting compliance for international groups, covering filing triggers, due dates, and e-form submission requirements.
Form No. 59 is the prescribed e-form for filing the Country-by-Country Report of an international group. It applies to a resident parent entity or alternate reporting entity where the consolidated group revenue exceeds the prescribed threshold, and in specified cases to a resident constituent entity where the parent is not required to report, there is no exchange arrangement with India, or a notified systemic failure exists. The report is ordinarily due within twelve months from the end of the reporting accounting year, with a shorter period in cases involving notified systemic failure. The form captures entity particulars, tax jurisdiction details, constituent entity data, and additional information.
March 27, 2026
Show AI Summary
Country-by-country reporting intimation by Indian constituent entities sets out the reporting entity and filing location for the group report.
Form No. 58 is an intimation by every constituent entity resident in India, where the parent entity of the international group is not resident in India, regarding whether it is an alternate reporting entity and, if not, the details of the parent entity or alternate reporting entity and their country or territory of residence. The form informs the income-tax authorities where the Country-by-Country Report will be filed and must be submitted two months before the due date for furnishing that report.

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Guidance note - Form 48

March 27, 2026

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Guidance note on Form No. 48:

Form No. 48 is a report from an accountant to be furnished under Section 172 of the Income-tax Act, 2025 by the person entered into international transactions and/or specified domestic transactions with associated enterprises.

Frequency & Due Dates:

Form No. 48 is filed annually on or before the date one month before the due date for furnishing the return of income under section 263 (1) for the relevant tax year, as per Section 172 r.w.s. 173 of the Income-tax Act, 2025.

Filing Count:

Approx 44,000 annually.

Structure of Form No. 48:

1. The Form has six parts, namely Part-A to F.

Part- A contains the particulars of the assessee.

Part-B contains the aggregate amount of the international and specified domestic transactions, which is auto-populated.

Part-C contains the details of the international transactions and associated enterprises/ persons with whom these transactions have been undertaken. Further, this part also contains the details of international transactions for which advance pricing agreement has been entered.

Part-D contains the details of the specified domestic transactions and associated enterprises with whom these transactions have been undertaken.

Part-E contains information regarding the determination of arm’s length price and the amount of adjustment, if any, required.

Part-F contains information in the cases where the amount of international transaction and/or specified domestic transaction exceeds the specified amount.

Flow of filing Form No. 48:

Step 1: In Part- A the particulars of the assessee namely- name, address, Permanent Account Number (PAN) are to be filled.

Step 2: In Part-C the details of all the associated enterprises with whom the assessee has entered into international transactions are to be filled, namely-

a) Name

b) Address

c) Country or territory of residence

d) PAN/ TIN or other unique identifier

e) Nature of relationship with the AE as referred to in Section 162(1)- A drop-down facility shall be provided for filling up this column based on the note 5 of the Form. Multiple options shall be selected in the appropriate cases.

Each AE shall be given the AE ID, which is a unique system generated ID, generated based on the information provided for AE.

If the assessee has undertaken deemed international transactions, details of the persons with whom the assessee has entered into the deemed international transactions are to be filled, namely

a) Name

b) Address

c) Country or territory of residence

d) PAN/ TIN or other unique identifier

And each such person shall also be given unique system generated ID as Person ID.

Step 3: The assessee is then required to provide the details of international transactions including the deemed international transactions. A drop-down facility will be provided for filling up the types of transaction based on the note 6 of the Form. The assessee shall choose the AE IDs /Person IDs (from column 5 and 6) and provide the amount of each transaction in respect of each AE ID/ Person ID. Additional information is being captured only in certain types of transaction, and is as per the list provided in the note 7 of the Form. Each transaction shall be given a transaction ID, which is a unique system generated ID, generated based on the details given for transaction in other columns of Part- C.

For example, if an assessee has undertaken the transaction of provision of services (T1) with three AEs (AE1, AE2, AE3) then the transaction IDs shall be given as under

T1 AE1

T1 AE2

T1 AE3

Once the complete details of all the transactions for the same transaction type have been filled, the aggregate amount shall get auto-populated.

The amount of adjustment, if any, and arm’s length price shall be auto-populated from Part-E of the Form.

Step 4: If the assessee is a signatory to any advance pricing agreement(s) (APA), the assessee is required to provide the details of the agreement(s), namely

a) Date of agreement

b) Acknowledgement number of application(s)

c) Details of the transaction IDs which have been covered under APA clearly specifying the total amount of the transaction and amount of transaction covered under APA.

If the assessee has signed more than one APA, the details of each agreement are to be furnished separately in row 8 of Part-C.

Step 5: In Part-D, the details of all the associated enterprises with whom the assessee has entered into specified domestic transactions are to be filled in the same manner as mentioned in step 2 for the associated enterprises with whom the assessee has entered into international transactions. Each AE shall be given the DAE ID, which is a unique system generated ID, generated based on the information provided for AE in other columns of Part-D.

Step 6: The assessee is then required to provide the details of specified domestic transactions. A drop-down facility will be provided for filling up the types of transaction based on note 9 of the Form. The assessee shall choose the DAE IDs (from column 9) and provide the description of the transaction and amount of each transaction.

Step 7: The details for the determination of arm’s length price are then to be filled up for each transaction except the transactions which are covered under APA and reported in row 8 of Part-C. In case, the closely linked transactions have been aggregated, the assessee is required to choose the transaction IDs, which have been aggregated together with other closely linked transactions, from the list of transaction IDs and then provide the total amount of the transaction, amount which has been considered for aggregation and the balance amount. If the assessee has partly aggregated the transactions, the assessee has to provide the details of the amount which have been aggregated and for subsequent aggregation of the transaction, the balance amount which is not aggregated shall be considered as the total amount.

The next step is to choose the most appropriate method, from note 11 of the Form, for determining the arm’s length price of the aggregated transactions. Then details are to be provided for the determination of arm’s length price. The assessee is required to provide in 11(2)(i) of the Form whether any of the transaction, which are not included or partially included in 11(1)(i)(a), have been aggregated with other closely linked transaction(s) for determination of arm’s length price or not. If ‘yes’ in 11(2)(i), then the details of the aggregated transactions and details for the determination of arm’s length price are to be provided. If ‘no’ in 11(2)(i), the assessee shall proceed for the determination of arm’s length price for each of the remaining transactions.

Depending upon the method chosen, the following details are to be provided-

1. RPM/CPM/TNMM

a) No. of comparable,

b) Margin of comparable

c) Arm’s length price (as computed in note 13)

d) Additional details (as asked in note 14)

e) Whether any of the aggregated transaction has been separately benchmarked or not

2. CUP

a) No of comparable

b) Price paid/charged

c) Arm’s length price (as computed in note 13)

3. PSM/Other Method

a) Details of determination of arm’s length price

b) Arm’s length price

c) Amount of adjustment

Step 8:

Part F is the certification from the accountant regarding the maintenance of the information and documents by the assessee, which it has been required to keep and maintain in accordance with section 171 of the Income-tax Act, 2025.

Challenges and Solutions:

The Form No. 48 aims to address the lack of standardisation in the existing form and enhances the quality and usability of transfer pricing information by shifting from the narrative disclosures towards structured, transaction wise reporting. Dropdowns and standardised categories have been provided so as to make the form more tax-payer friendly. Further, the new Form captures key elements of the economic analysis, instead of limiting the disclosure to the most appropriate method alone, thereby addressing the information gaps at the reporting stage. Availability of such data enables early closure of low-risk and compliant cases, thereby reducing unnecessary compliance burden.

Topics

Acts Income Tax