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    Vijayan slams Kerala govt's move to end doorstep pension delivery through cooperative banks
    Kerala to stop welfare pension delivery through cooperative banks, shifts to DBT
    China's exports slow slightly in July despite robust demand for high-tech products
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    Stock markets edged higher in early trade amid lower crude oil prices, buying in Reliance Industries
    Monthly review of accounts of Government of India upto June 2026 (FY 2026-27)
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    August 7, 2026
    Show AI Summary
    Direct benefit transfer for welfare pensions replaces cooperative-bank doorstep delivery, while retaining limited home service for excluded beneficiaries.
    Direct Benefit Transfer for social security and welfare pensions is to be made through Aadhaar-linked bank accounts, replacing cooperative-bank doorstep delivery. Home delivery remains available for bedridden persons and others who cannot be excluded. The change is associated with delays in remitting undistributed amounts, record-update failures, reconciliation issues, duplicate payments, and incomplete Aadhaar-based payment implementation. Concerns have been raised that mandatory bank-account credit may disadvantage beneficiaries dependent on doorstep delivery.
    August 7, 2026
    Show AI Summary
    Direct Benefit Transfer for welfare pensions replaces doorstep cooperative-bank delivery, while home delivery remains for bedridden beneficiaries.
    Direct Benefit Transfer of social security and welfare pensions is to be made mandatory through Aadhaar-linked bank accounts, replacing cooperative-bank doorstep distribution. Home delivery continues for completely bedridden beneficiaries and others who cannot be excluded. The change addresses delays in remitting undistributed amounts, record-update and reconciliation deficiencies, duplicate payments linked to incomplete Aadhaar-based payments, delivery incentive costs, and the need to comply with Direct Benefit Transfer norms to avoid loss of central financial assistance.
    August 7, 2026
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    Customs trade data show moderating July growth while high-technology exports, vehicles and advanced manufacturing supplies remain strongly supported.
    Customs and trade data showed that China's July export and import growth moderated and its trade surplus narrowed from the preceding month. Typhoon-related port disruptions affected trade flows, but demand for electronics and green technology products supported elevated values. High-technology items, vehicles, electronics and machinery recorded strong January-July export growth, while trade performance varied among the United States, the European Union and Southeast Asia.
    August 7, 2026
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    BRICS industrial cooperation advances MSME, photovoltaic, startup and logistics frameworks alongside resilient trade and digital services collaboration.
    BRICS industrial cooperation under PartNIR was strengthened through a Joint Declaration and institutional measures addressing MSMEs, photovoltaics, startup-led innovation, and resilient transport and logistics. The measures include an SME cooperation framework, Terms of Reference and an Action Plan for photovoltaic industry cooperation, and a startup innovation action plan. Trade discussions focused on the multilateral trading system, MSME participation in international trade, resilient global value chains, and cross-border digitally delivered services within a rules-based trading framework.
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    Certified organic export promotion: BIOFACH INDIA facilitates buyer-seller engagement, certification awareness, traceability discussions and international market access.
    BIOFACH INDIA 2026 promotes certified organic exports by providing a platform for Indian organic enterprises to showcase diverse certified products and engage with overseas buyers through structured Buyer-Seller Meets. Technical sessions address organic certification, traceability, sustainability, quality standards, international regulatory requirements and export-market expectations. The initiative supports quality assurance, international market access, export linkages and sustainable agricultural practices across the organic value chain.
    August 6, 2026
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    Device-based loan recovery restrictions protect essential mobile functions while permitting gradual locking only for lender-financed devices.
    Technology-based recovery mechanisms cannot restrict or disable a borrower's mobile device unless the bank financed acquisition of that device. Where permitted, banks must adopt a gradual approach and preserve essential functions, including incoming calls, SMS access, and emergency SOS features. Regulated entities and service providers must obtain manufacturer or operating-system certification for device-locking technology. Disclosure of borrower or guarantor information to recovery personnel must be limited to what is necessary for loan-recovery duties.
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    Bilateral trade agreement negotiations should secure tariff certainty, protect key exports, strengthen supply chains, and support vulnerable small industries.
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    Ethanol imports for fuel blending remain excluded from trade commitments, with domestic producers continuing to supply the blending programme.
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    Patent and trade marks agent qualification examinations require written-paper minimums, aggregate passing scores, and viva voce assessment for registration.
    Patent and trade marks agent examinations comprise an objective Paper I, a descriptive Paper II and a viva voce assessing suitability to practise before the Intellectual Property Office. Candidates must secure the stipulated minimum marks in each written paper and the required aggregate score to pass. Registration in the relevant Register of Patent Agents or Register of Trade Marks Agents is available only to candidates who satisfy all prescribed eligibility conditions and qualify the examination.
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    Draft NBFC credit-facilities amendments open for stakeholder consultation through designated online and email feedback channels.
    Draft amendments to the Non-Banking Financial Companies credit-facilities framework have been released for public consultation. Regulated entities and other interested stakeholders may submit comments or feedback through the 'Connect 2 Regulate' platform or by email using the specified subject line.
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    NBFC Upper Layer classification imposes enhanced regulation and listing obligations, while de-registration applications remain under examination.
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    Merchant discount rate framework may permit charges on notified UPI and digital payments through a government notification mechanism.
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    Neutral monetary policy stance continues as resilient growth and food-fuel inflation risks require close macroeconomic monitoring.
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    August 6, 2026
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    Closing auction price discovery and a neutral monetary policy stance shaped equity market conditions amid lower crude prices.
    The Closing Auction Session in the equity cash segment introduced an auction-based mechanism for determining closing prices of eligible shares with futures and options contracts, intended to make price discovery more transparent and robust. The Reserve Bank of India retained its neutral stance and left the benchmark policy rate unchanged, pending greater clarity on the inflationary effects of higher energy costs. Future policy decisions were stated to be data dependent.
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    Monthly public accounts review records receipts, expenditure, tax devolution, interest payments, subsidies, and capital spending through June.
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      Guidance note - Form 51

      March 27, 2026

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      Form 51- Application for an Advance Pricing Agreement

      Name of Form as per I.T. Rules, 1962

      Form 3CED & 3CEDA

      Name of Form as per I.T. Rules, 2026

      51

      Corresponding section of I.T. Act, 1961

      92CC

      Corresponding section of I.T. Act, 2025

      168

      Corresponding Rule of I.T. Rules, 1962

      10-I

      Corresponding Rule of I.T. Rules, 2026

      106

      Purpose:

      Form 51 of the Income Tax Act, 2025, is the application form for an Advance Pricing Agreement (APA). An APA is an agreement between a taxpayer and the Central Board of Direct Taxes (CBDT) to determine the transfer price or the manner of determining the transfer price for international transactions (and specified domestic transactions) for a specified period. Form 51 is filed under Rule 106 and Rule 111 of the Income-tax Rules, 2026, and can be filed by person to eligible to apply under Rule 104 of the Income-tax Rules, 2026. This form also combines the erstwhile Form 3CED (to apply for an Advance Pricing Agreement) and Form 3CEDA (to apply for Rollback of an Advance Pricing Agreement).

      Who Should File:

      Any person who has entered into or is contemplating entering into international transactions with an associated enterprise can apply for an APA by filing Form 51. Eligible applicants seeking rollback can also file Form 51.

      Frequency & Due Dates:

      The application must be filed before the start of the first tax year for which the APA is sought in respect of transactions which are of a continuing nature from dealings that are already occurring; or before undertaking the transaction in respect of remaining transactions and is applicable for a duration, typically of five tax years ahead in case of forward-looking APAs, and four tax years back in case of rollback, for a total of nine tax years.

      Structure of Form 51:

      Part A: Particulars of the Person

      Part B: Other Details:

      • Particulars of proposed APA
      • Period of APA proposed
      • International Transactions proposed to be covered along with details of the same
      • International Transactions proposed to be covered along with details of the same in case Rollback request has been made.

      Other details to be provided as annexures in separate enclosure:

      General

      A-1

      History and background of the applicant and the associated enterprise.

      A-2

      General description of business and products/services.

      A-3

      Multinational structure, organizational arrangement, operational set-up, including major transaction flows.

      A-4

      Details of all other transaction flows of the multinational enterprise (volumes, directions and amounts) that may have an impact on the pricing of the covered transactions.

      A-5

      Proposed terms and conditions, and critical assumptions, for the APA.

      A-6

      Details of all the business location(s)

       

      Address of the location(s)

      Functions performed

      Employee headcount

      A-7

      Details of parent company

      a.

       

      Details of all Immediate Parent Company:

      Yes/ No

       

      Name

       

       

      Address

       

       

      Country/region of residence

       

       

      TIN or its equivalent

       

      b.

      Details of Ultimate Parent Company:

      Yes/ No

       

      Name

       

       

      Address

       

       

      Country/region of residence

       

       

      TIN or its equivalent

       

      Functional Analysis

      A-8

      Detailed functional analysis of the applicant and all relevant entities with respect to the covered transactions.

      A-9

      Business strategies:-

      (i) current and future Budget statements,

      (ii) projections and business plans for future period covered by proposed APA,

      (iii) general business and industry trends,

      (iv)future direction/business strategy including R&D,

      (v) production and marketing,

      (vi) Relevant marketing and financial studies (enclose copies).

      A-10

      Financial statements on a consolidated and unconsolidated basis for the prior 5 years, (Also provide interim statements for the most recent period prior to the date of the submission).

      Industry and Market Analysis

      A-11

      Comprehensive description of industry as well as generally accepted industrial and commercial practices.

      A-12

      Identification and general profile of competitors, including respective market shares.

      A-13

      Industry and general business statistics, financial ratios, and analyses/studies.

      A-14

      Critical success factors for detailed industry analysis.

      A-15

      Detailed analysis of the markets for all countries involved.

      Transfer Pricing Background

      A-16

      Discussion of relevant legal considerations and requirements as per Indian law, foreign Law and DTAA between India and the foreign country including competent authority history.

      A-17

      Discussion of relevant rulings, UAPAs/BAPAs/MAPAs, and other similar arrangements entered into with foreign tax administrations, for transfer pricing or other valuation bases, or other taxation matters entered into by the applicant (or its associated enterprises)

      A-18

      History of transfer pricing audits and present status of appeals.

      Tax Year

      Disputed International Transaction

      Amount of Adjustment

      Decision of each appellate authority

      Current status

       

       

       

       

       

       

       

       

       

       

       

      A-19

      History of foreign transfer pricing audits and present status of appeals.

      Tax Year

      Disputed International Transaction

      Amount of Adjustment

      Decision of each appellate authority

      Current status 

       

       

       

       

       

       

       

       

       

       

       

      A-20

      Copies of all relevant agreements (pricing, cost-sharing, licensing, agency, distributorship, etc.) relevant to this application is to be provided.

      A-21

      Operating data (gross and net) segmented by product line, division, unit, and geographic region for the prior 5 years,

      Transfer Pricing Methodology (TPM) Analysis

      A-22

      Provide all information, including detailed analyses and explanations needed to establish the appropriateness of a proposed TPM, in accordance with transfer pricing regulations as contained in the Indian Income-tax law.

      A-23

      Discussion and analysis of each transfer pricing method, applied or rejected, for each covered transaction. In particular provide details on accepted or rejected internal comparable. (Indicate assumptions, strategies and policies that may have influenced the acceptance or rejection of each TPM).

      A-24

      Summary of selected TPMs and secondary TPMs, if used as a sanity check.

      A-25

      Application of the proposed TPMs to the covered transactions for the 5 prior years’ operations and the time period applicant wants to cover in APA, and discuss results.

      A-26

      Discussion and quantification of the variance from the proposed TPM, if any, from the TPM applied previously for the 5 prior years.

      A-27

      In case where rollback is not opted for any Transaction ID for any tax year, the reasons for the same is to be provided.

           

      What are the documents required to file the Form 51?

      Documents required are specifically mentioned in the Form and include (but are not limited to):

      • Financial Statements for the covered years of the APA Application
      • Inter-company agreements relevant to the Application

      What is the process flow of filing Form 51?

      The process flow includes following steps:

      1. The Applicant shall file Form 51 electronically to the Principal Chief Commissioner of Income-tax (International Taxation) or the Competent Authority in India (in case of Bilateral/Multilateral transactions).
      2. The PCCIT (IT)/Competent Authority shall assign the application to one of the 5 APA teams.
      3. On receipt of the Application, the relevant APA team shall take necessary action on the Application as per procedure outlined in the Income-tax Rules, 2026.

      Outcome of Processed Form 51:

      The outcome of a processed Form 51 could be:

      • Signing of an Advance Pricing Agreement (APA)
      • Withdrawal of the Application
      • Closure of the Application prior to signing or withdrawal

      Brief note on broad or qualitative changes proposed:

      • The form 51 combines the erstwhile Form 3CED (to apply for an Advance Pricing Agreement) and Form 3CEDA (to apply for Rollback of an Advance Pricing Agreement). This has been done in view of the similarities of the two forms and shall lead to reduction in compliance burden and avoiding duplication of Forms
      • A number of queries which raised in the earlier version of the Form along with additional documentary requirements have been omitted with the aim of lowering compliance burden. Further, details have been asked for in easy-to-fill tabular form to the extent possible.
      • Erstwhile Form 3CEE: Application for withdrawal of APA request has been removed. A simple letter may be filed by the Applicant for withdrawal. This further reduces compliance burden for Applicant.

      Challenges and Solutions:

      Combining the erstwhile Form 3CED and Form 3CEDA (for rollback requests) represented a challenge in the form of unnecessary duplication of data in the same form. However, the current design of the form has eliminated such duplication, ensuring conciseness without sacrificing comprehensiveness.

      Common Changes made across Forms:

      1. To make Forms system-friendly and enable e-filing and uploading, certain anomalies found due to grouping of Name, Designation, Address, PAN and Aadhaar number have been separated into different boxes.
      2. Assessment / Financial / Previous year or years have been replaced with Tax year or years, wherever appearing in the Form/Annexure.
      3. Sections, Clauses and Schedules changes as per the Income-tax Act, 2025.
      4. Currency symbol “Rs.” has been replaced with “₹”.

      Topics

      ActsIncome Tax