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    India–Nepal Inter-Governmental Sub-Committee on Trade, Transit and Cooperation to Control Unauthorised Trade Meets in New Delhi
    OnEMI Technology Solutions Limited’s Board Approves Fundraise of approximately ₹832 Crore through a Preferential Issue of Securities
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    Tata turf war spills over: Board reappoints Chandrasekaran, Trusts call it illegal
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September 18, 2026
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Customs cooperation and trade facilitation advance electronic origin verification, pre-arrival information exchange, and safeguards against preferential trade misuse.
Customs cooperation and trade facilitation measures included pre-arrival information exchange, electronic verification of Certificates of Origin, and Customs automation and digitalisation. These measures are directed at facilitating legitimate trade while ensuring compliance with applicable rules and preventing misuse of preferential trade arrangements. Rail and road connectivity, freight movement, Integrated Check Posts and land-port infrastructure were reviewed to improve infrastructure utilisation and address operational bottlenecks affecting bilateral and transit trade.
September 18, 2026
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Preferential equity issuance approved to strengthen capital, support digital lending expansion, and fund subsidiary operations subject to required approvals.
OnEMI Technology Solutions Limited has approved a preferential issue of equity shares to identified investors, subject to shareholder and requisite regulatory and statutory approvals. The issuance is proposed under the Companies Act, 2013, the SEBI capital-issue and disclosure framework, other applicable SEBI regulations, and applicable law. Seventy-five per cent of the additional capital raised is proposed for infusion into its wholly owned subsidiary to support lending, technology, digital capabilities and product expansion, while the remaining twenty-five per cent is proposed for general corporate purposes.
September 18, 2026
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Fraudulent input tax credit claims through bogus invoices prompted arrest over alleged invoicing without actual supply of goods.
Alleged fraudulent availment, utilisation and passing on of inadmissible input tax credit involved invoices from purported suppliers found to be non-existent, non-functional, suspended or cancelled. Input tax credit was allegedly claimed without actual receipt of goods and passed on through invoices unsupported by corresponding supplies. Following investigation and recorded statements, the proprietor of an iron and steel trading firm was arrested under statutory arrest powers, while further investigation remains in progress.
September 18, 2026
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Direct tax collections: stronger advance tax payments support growth in corporate, non-corporate, and securities transaction tax receipts.
Direct tax collections grew through September 17, supported principally by increased advance tax payments from corporate and non-corporate taxpayers. Gross collections exceeded Rs 14.32 lakh crore, while net collections, after refunds, exceeded Rs 12.12 lakh crore. Corporate tax collections grew more strongly than non-corporate tax collections, and Securities Transactions Tax receipts recorded significant growth. The trend indicated broad-based tax buoyancy, supported by underlying economic activity, taxpayer confidence and business performance.
September 18, 2026
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Reusable consent-based KYC enables integrated onboarding, reporting, record updates and periodic re-verification for regulated financial institutions.
Central KYC-based onboarding enables regulated financial institutions to reuse a customer's existing verified identity record through the Central KYC Registry with customer consent. The integrated solution supports onboarding, KYC reporting, unsolicited notifications and re-KYC. It retrieves consented KYC records through CKYC APIs, uses facial matching or video-based customer identification for authentication, and applies AI-based duplicate detection. Reporting automates validation, image correction and real-time registry submission, while record updates and simplified periodic re-verification support the currency of institutional KYC information.
September 18, 2026
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Benchmark interest rate normalisation raises borrowing costs while monetary policy monitors inflation, wage growth, currency risks, and economic recovery.
The Bank of Japan increased the uncollateralised overnight call rate from 1.0 per cent to 1.25 per cent, advancing monetary-policy normalisation after a prolonged period of near-zero or negative rates. The increase was assessed against gradual economic recovery, inflation near its target, wage growth, currency fluctuations, elevated crude oil prices, and external risks. Further tightening remains contingent on stable price increases, wage developments, and monitoring of other risks.
September 18, 2026
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Direct tax collections reflect stronger advance tax payments, alongside increased corporate tax, securities transaction tax, and refund issuance.
Net direct-tax collections exceeded Rs 12.12 lakh crore through 17 September, reflecting 13 per cent growth following increased advance-tax receipts. Gross direct-tax collections exceeded Rs 14.32 lakh crore, while refunds exceeded Rs 2.20 lakh crore. Corporate-tax and non-corporate tax collections increased, as did Securities Transaction Tax collections. Advance-tax receipts exceeded Rs 5.22 lakh crore, comprising increased corporate advance tax and non-corporate advance tax payments.
September 18, 2026
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Upper-layer NBFC listing compliance sharpens corporate governance conflict over public accountability, shareholder liquidity, and preservation of private ownership.
Tata Sons' status as an upper-layer non-banking financial company has brought its proposed public listing into focus after the Reserve Bank of India rejected its application to voluntarily surrender core investment company registration. Tata Sons is required to take steps to comply with the enhanced regulatory framework applicable to upper-layer NBFCs, which includes stock-market listing. Classified in 2022, Tata Sons did not meet the original listing deadline and had pursued deregistration after repaying debt.
September 18, 2026
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Upper-layer NBFC compliance places Tata Sons on a listing-oriented path emphasising transparency, governance, shareholder visibility, and philanthropic continuity.
Reserve Bank of India rejection of Tata Sons' application to surrender its core investment company registration requires compliance with the upper-layer non-banking financial company regulatory framework. The resulting regulatory path is associated with public listing. Shapoor Mistry supports listing as a means to enhance transparency, shareholder visibility, and corporate governance accountability, while potentially clarifying the holding company's value and supporting a durable flow of value towards charitable activities without compromising Tata's philanthropic mission.
September 18, 2026
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Duty-free market access will cover all covered exports upon entry into force under the bilateral free trade agreement.
Upon entry into force, the India-New Zealand Free Trade Agreement grants duty-free access in New Zealand for 100 per cent of Indian exports, including textiles and apparel, leather and footwear, engineering goods, pharmaceuticals, agriculture, and processed food products. It also provides enhanced preferential access to the Indian market for specified New Zealand exports. The Agreement further covers services, investment, professional, student and youth mobility, and cooperation in agricultural productivity, pharmaceuticals and medical devices, traditional medicine and AYUSH, technology, and trade facilitation.
September 18, 2026
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Competition clearance for additional shareholding acquisition facilitates increased investment in Azure Power's renewable energy business by OMERS Infrastructure.
Competition approval has been granted for a proposed combination involving OMERS Infrastructure Asia Holdings Pte. Ltd.'s acquisition of certain additional shareholding in Azure Power Global Limited from CDPQ Infrastructures Asia Pte. Ltd. Azure Power Global Limited is the parent entity of the Azure group, which establishes and operates renewable energy plants and sells solar power in India.
September 18, 2026
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Competition approval for interconnected acquisitions enables shared equity acquisition in Great White and sole control acquisition in ITVIS.
Competition-law approval covers an interconnected combination involving acquisition of 50% of Great White Global Private Limited's issued and paid-up equity share capital by EAAA Acquiring Entities and the Continuing Promoter group, through inter-connected steps using an acquisition special purpose vehicle that will merge into Great White. The combination also includes Mr. Mehul Shah's acquisition of sole control over ITVIS Innovations Private Limited.
September 18, 2026
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Competition approval for acquiring three Royals franchises covers cross-border professional cricket franchise ownership interests and related transaction arrangements.
Competition Commission of India granted competition approval for the proposed combination involving Westview Cricket Limited and Poonawalla Sports and Fitness Private Limited acquiring the Rajasthan Royals, Paarl Royals and Barbados Royals professional cricket franchises. The franchises operate respectively in India, South Africa and Barbados, with Rajasthan Royals participating in the Indian Premier League T20 cricket tournament organised by the Board of Control for Cricket in India.
September 17, 2026
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Sanctions bill permits punitive tariffs on oil and gas trading partners, raising energy-market and bilateral relationship concerns.
United States sanctions bill concerning Russia would authorize the President to impose sanctions on Russia and punitive tariffs of up to 100 per cent on nations importing Russian crude oil. The tariff mechanism may affect oil and gas trading partners, bilateral relations and global energy markets, with concern expressed over its implications for energy trade.
September 17, 2026
Show AI Summary
Secondary sanctions on Russian energy trade could expose major crude importers to punitive tariffs and economic pressure.
Congressional legislation targeting Russia and Iran would authorise sanctions against Russia's leadership, energy sector, and vessels facilitating evasion of oil-delivery restrictions. It would also permit punitive tariffs of up to 100 per cent on leading trading partners continuing to import Russian oil and gas. India has identified possible effects on bilateral economic relations and the international energy market, while maintaining that diversified sourcing is necessary for energy security and that its trade and economic interests will be protected.
September 17, 2026
Show AI Summary
Trust-nominated director consent shapes the contested chairmanship reappointment as regulatory classification renews pressure to consider a stock-market listing.
Validity of the reappointment is therefore contested under the company's internal governance framework despite the majority board vote, and the appointment is expected to be considered for ratification at the annual general meeting. The dispute also concerns the distinction between shareholder influence and directors' decision-making duties. A Trust sought to direct its nominee director to oppose a listing, but the director declined on the basis of independent director duties.
September 17, 2026
Show AI Summary
Selective capital reduction offers a proposed shareholder-liquidity route while preserving private-company status, subject to valuation and approval scrutiny.
Tata Trusts has placed before the Tata Sons board a framework for the Shapoorji Pallonji Group to monetise part of its Tata Sons shareholding without requiring a public listing. The transaction would be valued under Rule 11UA principles, completed in two tranches over 18 months, and require Tata Sons to commence a selective capital reduction process before the National Company Law Tribunal. Completion remains contingent on financing capacity, regulatory and tribunal approvals, and scrutiny of valuation, shareholder treatment, and the legal validity of the capital-reduction structure.
September 17, 2026
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Board chair reappointment validity turns on mandatory nominee-director approval, amid separate listing-compliance and succession disputes.
Tata Sons' board reappointed its executive chairman by majority vote, but Tata Trusts contend that the resolution is void under the Articles of Association because both Trust-nominated directors must approve a chairmanship resolution. The dispute also concerns the effect of the chairman's earlier decision to step aside, an ongoing successor-selection process, and uncertainty over a nominee director's status following a failed general meeting. Separately, the rejection of Tata Sons' deregistration request has revived questions over compliance with the listing requirement applicable to an upper-layer non-banking financial company.
September 17, 2026
Show AI Summary
Deep-sea fishing access supports export-oriented harvesting of high-value species, with foreign-port high-seas landings recognised as exports.
Deep-sea fishing policy promotes expansion of fishing operations within India's Exclusive Economic Zone (EEZ) and on the high seas to increase fisherfolk income through exports of high-value species. High-seas catch classification has been altered so that fish caught on the high seas and offloaded at a foreign port are treated as exports rather than imports.
September 17, 2026
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Merchant discount rate on eligible UPI payments places charges on merchants while preserving consumer protections and small merchant exemptions.
Merchant Discount Rate at 0.4 per cent will apply from October 15 to person-to-merchant UPI payments above Rs 2,000, payable by merchants and subject to a cap for high-value transactions. Individual transfers and most everyday merchant payments remain free, while eligible small QR-code merchants are exempt. Essential-service payments and capital-market transactions receive separate fee treatment, and a portion of MDR collections will support small-merchant UPI adoption.

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Guidance Note – Form 120

April 1, 2026

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Form No. 120 – Form seeking Advance Rulings Before Board for Advance Rulings

Purpose:

The purpose of filling forms for advance rulings under the Income-tax Act is to seek a determination or ruling from the Board for Advance Rulings (BAR) on questions of law or fact relating to proposed or undertaken transactions by the applicant. These forms facilitate clarity and certainty on tax liability issues in advance, avoiding future disputes and litigations. The forms include details of the applicant, the transaction, relevant facts, legal interpretations, and fee payment proof, ensuring a structured, transparent, and efficient process.

Who Should File:

S. No.

New Form No.

Applicant Category

Description

Existing Form No.

1

120

Non-resident

A non-resident in regard to tax liability arising out of a transaction undertaken or proposed to be undertaken in India.

34C

2

Resident undertaking transaction with non-resident

A resident undertaking or proposing to undertake a transaction with a non-resident to determine the tax liability of the non-resident.

34D

3

Resident with high-value transactions

A resident who has undertaken or proposes to undertake one or more transactions with a total value of Rs. 100 crore or more.

34DA

4

Public Sector Company

A public sector company seeking advance rulings on income-tax issues pending before any income-tax authority or appellate tribunal.

34E

5

Any person (resident or non-resident)

Any person can seek a ruling on whether a proposed arrangement is an impermissible avoidance arrangement under GAAR provisions.

34EA

Frequency & Due Dates:

  • Filing Frequency:
  • There is no fixed frequency or periodic schedule for submitting advance ruling applications. Forms are filed as and when an applicant has a transaction (proposed or undertaken) needing tax certainty or a legal decision.
  • Due Dates:
  • An application can be filed prior to or after entering into the transaction, depending on the applicant's requirement.
  • There is no statutory last date for filing; it is transaction-driven and at the applicant’s discretion.
  • Withdrawal window: An applicant may withdraw their application within 30 days from the date of filing.
  • Fee payment: Proof of payment must be attached at the time of application submission.

Structure of Form No. 120:

  • Applicant’s identification: name, PAN, address, contact details, citizenship, and status.
  • Details of residency (resident/non-resident).
  • Date of Incorporation and details of Authorized Representative in India.
  • Fee payment details (amount, challan number, date, and bank info).
  • Statement of relevant facts concerning the ruling request.
  • Statement interpreting the law or facts as per the applicant.
  • Information about the transaction/arrangement subject to advance ruling, including the tax benefit, parties involved.
  • Disclosure of any pending related proceedings or issues decided by tax authorities or courts.
  • Verification by the applicant.

Documents required to file the Form No. 120:

Following documents are required for filing Form No. 120 :

  • Proof of payment of application fee (challan, bank receipt, etc.).
  • PAN card copy (for residents and non-residents if allotted).
  • Taxpayer Identification Number (TIN) or equivalent for non-residents.
  • Certificate of incorporation/registration (company, trust, partnership, etc.).
  • Address and identity proof of applicant.
  • Proof of being Non-resident.
  • Details and documents regarding business/profession (Memorandum of Association, Partnership/Trust deed, etc.).
  • Question(s) relating to the transaction on which advance ruling is required.
  • Statement of relevant facts having a bearing on the question(s).
  • Statement of interpretation of law or facts.
  • Copies of relevant agreements/arrangements giving rise to transaction, if any.
  • Supporting documents for group structure/beneficial ownership (for non-residents).
  • Details of other parties to arrangement (Identity, PAN, Relation).
  • Document indicating Tax year(s) during which the tax benefit is likely to arise (give year wise breakup).
  • Any relevant assessment orders, appellate orders, or documents if proceedings/arbitrations are pending or decided.
  • Authorization letter/power of attorney if the application is filed by an authorized representative.
  • Any other document as required by the Board or mentioned in instructions relevant to the case.
  • The applicant shall, along with the attachment, provide an index of the documents uploaded with the description and corresponding page numbers.

Filing Count:

43 Applications of Form 34C, 34D, 34DA, 34E and 34EA have been filed over the past five years.

S. No.

Form No.

No. of Filings in past Five Years

1.

34C

26

2.

34D

11

3.

34DA

5

4.

34E

1

5.

34EA

0

Process Flow of filing Form No. 120:

The process flow includes following steps:

  • Prepare the application: Fill Form No. 120, ensuring all sections are complete with accurate applicant details, transaction/arrangement info, questions on which ruling is sought, facts, and interpretations.
  • Attach mandatory documents: Documents relevant to statement of facts and interpretation of law/facts, plus all supporting documents, agreement copies, and proof of fee payment.
  • Sign/verify: Application, annexures, and all attached statements must be signed or digitally signed by the authorized person (as per applicant type), and furnished from the registered email address.
  • Submit online: Henceforth, new Form No. 120 can only be submitted online through the Income Tax e-Filing Portal.
  • Rectify defects: If application is found defective, rectify and resubmit within allowed time.
  • An application is scrutinized for completeness and correctness.

Outcome of Processed Form No. 120:

  • Application is sent for comments, records may be called from the jurisdictional Pr. CsIT/CsIT; applicant may be asked for clarifications.
  • Applicant may withdraw its application within 30 days, or BAR may reject the application if it does not fulfill eligibility or if questions are pending elsewhere.
  • The Board may allow/reschedule hearings—fully online through video conferencing.
  • After examination and hearing (if needed), the BAR pronounces its advance ruling on the specific question(s) raised in the application.
  • The ruling is communicated to both applicant and the Revenue.
  • If dissatisfied, either party (applicant or Revenue) can appeal against the ruling to the jurisdictional High Court.
  • The period during which the application is pending before the BAR is excluded from the limitation period for assessment.

Brief note on broad or qualitative changes proposed:

Key updates include the following:

  • Expanded and Structured Information Requirements:
  • The new form introduces more granular particulars regarding beneficial ownership, parent company structures, and parties involved—reflecting strengthened focus on transparency and international tax compliance.
  • Adaptation to New Regulatory Contexts:
  • There are specific documentation for similar/related proceedings, and disclosure of concurrent litigation or prior decisions.
  • Improved Applicant Experience, Expedited Process:
  • Multiple old forms (34C, 34D, 34DA, 34E, 34EA) are now combined into a single Form No.120 for all categories of applicants, with streamlined fields for non-resident, resident, PSU, or GAAR queries.
  • Simplification of Rules and Forms has also led to approximate reduction of 4,690 words (58.86 percent).
  • Currently none of the BAR Forms are available online. The Committee has recommended that the new combined BAR Form i.e. Form No. 120 be made available online. Further, Systems has been apprised of the requirements. In the proposed system, following issuance of a notice by the Secretary, BAR, on ITBA, an intimation should be sent to the concerned Assessing Officer (AO) through ITBA to abate proceedings and disable related functionalities, preventing any further action by the AO. Systems have been apprised of this requirement.

Challenges and Solutions:

Challenges in Old Forms 34C, 34D, 34DA, 34E, and 34EA (Advance Rulings):

  • Insufficient Disclosure Requirements:

Forms collected only basic facts; they often lacked detailed fields for group structures, beneficial ownership, or relationships—leading to queries, delays, or additional requests.

Solutions in New Form No. 120

  • Enhanced and Standardized Information:

All forms require detailed and standardized disclosures including identity, group structure, beneficial ownership, transaction parties, and parent/ultimate holding companies.

Common Changes made across Forms:

• Single Unified Online Form:

Multiple old forms (34C, 34D, 34DA, 34E, 34EA) have now been combined into a single digital Form No. 120 for all categories of applicants, with streamlined (Drop-Down based Optional) fields for nonresident, resident, PSU, or GAAR queries.

• Enhanced and Standardized Information:

New Form No. 120 require detailed and standardized disclosures including identity, group structure, beneficial ownership, transaction parties, and immediate/ultimate parent holding companies.

• Mandatory Attachments & Annexures:

Applicants must now submit structured annexures/statements on facts, legal interpretations, and ownership diagrams, improving clarity and completeness.

• Digital Filing and Verification:

New Form No. 120 is proposed to be made available online, authenticated using digital signatures, reducing manual paperwork and increasing reliability.

• Group Structure & Beneficial Owner Definitions:

Every applicant must provide comprehensive details on group structures and beneficial owners as per latest definitions (Companies Act, PMLA, FATF).

• Simplified & Detailed Instructions:

The new Form No. 120 provides detailed notes, definitions and ensuring applicants are well-guided. Stepwise instructions, definitions, and explanatory notes in the new form to improve accuracy.

Topics

Acts Income Tax