Just a moment...

Top
Help
×

By creating an account you can:

Logo TaxTMI
Call Us / Help / Feedback

Contact Us At :

E-mail: [email protected]

Call / WhatsApp at: +91 99117 96707

For more information, Check Contact Us

FAQs :

To know Frequently Asked Questions, Check FAQs

Most Asked Video Tutorials :

For more tutorials, Check Video Tutorials

Submit Feedback/Suggestion :

Email :
Please provide your email address so we can follow up on your feedback.
Category :
Description :
Min 15 characters0/2000
Add to...
You have not created any category. Kindly create one to bookmark this item!
Create New Category
Hide
Title :
Description :
❮❮ Hide
Default View
Expand ❯❯
Close ✕
🔎 Newsletters - Adv. Search
Year:
---- All Years ----
  • ---- All Years ----
  • 2026
  • 2025
  • 2024
  • 2023
  • 2022
  • 2021
  • 2020
  • 2019
  • 2018
  • 2017
  • 2016
  • 2015
  • 2014
  • 2013
  • 2012
Month:
---- All Months ----
  • ---- All Months ----
  • January
  • February
  • March
  • April
  • May
  • June
  • July
  • August
  • September
  • October
  • November
  • December
❯❯
MaximizeMaximizeMaximize
0 / 200
Expand Note
Add to Folder

No Folders have been created

    +

    Are you sure you want to delete "My most important" ?

    NOTE:

    Daily Newsletters
    Showing Results for :
    Reset Filters
    Results Found:
    Show All SummariesHide All Summaries

    Daily Newsletter

    Back

    All Daily Newsletter

    Showing Results for :
    Reset Filters
      No Records Found

      Daily Newsletter

      Back

      All Daily Newsletter

      whatsappJoin Channel
      Showing Results for : Reset Filters

      TaxTMI Updates e-Newsletter
      Mar 18,2025

      Contents
      Note

      Note

      -

      Bookmark

      Print

      Print

      Collapse
      4 Notes Toggle
      Summary: Clause 82 permits deferral or exemption of capital gains from sale of residential property where proceeds are reinvested in another residential property, treating gains exceeding the new asset's cost as taxable. Unutilized gains must be deposited in a specified bank or institution under a notified scheme and such deposits count toward the new asset's cost. Deposited amounts not applied within the prescribed period become taxable though the clause provides for withdrawal of unused sums. The clause allows a one time option to invest in two houses subject to a gain threshold and imposes caps on eligible cost and gains to target relief.
      Summary: Clause 81 requires that advance money retained during negotiations for transfer of a capital asset be deducted from the cost of acquisition (original cost, written down value, or fair market value) but prohibits that deduction where the advance has already been included in the assessee's total income under the statutory provision referenced, aligning with Section 51's objective while differing in the cross references and raising compliance and interpretive issues.
      Summary: Where actual consideration for transfer of a capital asset is not ascertainable, the fair market value (FMV) of the asset on the transfer date is to be deemed the full value of consideration for capital gains computation. Determination may use comparable sales, income, or cost approaches, but unique or illiquid assets and absence of standardized methods create practical valuation disputes. Taxpayers must substantiate FMV and authorities need valuation frameworks to ensure consistent application and prevent understatement of taxable gains.
      Summary: Deemed full consideration for transfer of unquoted shares is the fair market value when actual consideration is lower; fair market value must be determined by prescribed valuation procedures, with exemptions available for specified classes or conditions, and compliance requires documentation, qualified valuation and potential administrative guidelines to resolve disputes.
      25 Highlights Toggle
      14 Articles Toggle
      By: K Balasubramanian
      Summary: Applicability of GST to RWA maintenance hinges on whether the statutory exemption up to a specified monthly amount per member is partial or an all or nothing threshold. Revenue and CBIC guidance treat the exemption as inapplicable once charges exceed the limit, attracting GST on the entire maintenance; by contrast, Madras High Court rulings hold GST should apply only to the excess over the exempt amount, producing divergent compliance practices and differing ITC consequences.
      By: Pradeep Reddy
      Summary: Export proceeds received in local currency can qualify as realization in foreign exchange for export incentives if routed through a Freely Convertible Vostro Account of a non resident bank (outside the Asian Clearing Union, Nepal, and Bhutan) or through a Special Rupee Vostro Account. Special FTP provisions allow local currency realization for exports to Iran and permit local currency settlement with neighbouring countries subject to central bank and FTP conditions. Exporters must maintain prescribed routing and documentary evidence to preserve eligibility for incentives and to comply with FEMA/FTP requirements.
      By: Pradeep Reddy
      Summary: Consolidated show cause notice combining multiple tax periods was quashed for failing to respect the requirement of separate assessment for each tax year and applicable limitation constraints; the tax authority may issue fresh, individual notices for each period in conformity with the CGST assessment and time bar framework.
      By: Pradeep Reddy
      Summary: Provisional attachment of bank accounts under GST is a revenue-safeguarding measure subject to a statutory time limit and procedural safeguards; taxpayers may file objections and seek release through prescribed objection procedures, authorities must notify banks and taxpayers of releases, and practical deficiencies-such as delays, poor communication, and lack of prior hearings-frequently force judicial intervention to secure procedural compliance.
      By: Ishita Ramani
      Summary: ROC filing is a statutory obligation for private limited companies requiring timely Annual Returns, Financial Statements and DIR-3 KYC. Non-compliance exposes companies and directors to penalties, criminal proceedings, strike-off and director disqualification. Up-to-date ROC records preserve corporate credibility, facilitate lender and investor approvals, and simplify mergers, acquisitions and restructurings.
      By: DR.MARIAPPAN GOVINDARAJAN
      Summary: High Courts must not substitute themselves for the decision-making authority in insolvency proceedings under the Code. The statutory process requires appointment of a Resolution Professional whose report on existence of debt and guarantor liability is recommendatory and must precede judicial examination by the Adjudicating Authority when deciding admission or rejection of an application. Premature writ intervention by a High Court before the Resolution Professional's report disrupts the statutory sequence and prevents the Adjudicating Authority from performing its adjudicatory functions.
      By: YAGAY andSUN
      Summary: Related party cross border prices are subject to concurrent scrutiny under transfer pricing and customs valuation: transfer pricing enforces the arm's length principle using methods like CUP, Cost Plus, Resale Price, Profit Split and TNMM and requires documentation to justify intercompany pricing for tax purposes; customs valuation relies on the Transaction Value Method and examines transactional records to ensure declared import value reflects market value for duty assessment. Adjustments by either authority can trigger reciprocal reassessments, creating coordination and double scrutiny risks.
      By: YAGAY andSUN
      Summary: Food businesses including manufacturers, importers, repackers, relabellers, distributors and retailers must submit quarterly FoSCoS reports on rejected and expired food, specifying product type, quantity, batch and traceability identifiers, and detailing actions taken (destruction, auction, alternative use) including purchaser or waste disposal agency details. The measure supplements existing storage and stock rotation obligations (FIFO/FEFO) and aims to prevent re introduction of such items into the human food chain; businesses should compile records now for prompt upload when the portal is activated.
      By: YAGAY andSUN
      Summary: Investments in industrial climate solutions reduce operating costs through energy efficiency and waste minimisation, and support regulatory compliance by lowering exposure to emissions pricing and penalties. Access to green financing and government incentives improves project economics by reducing upfront burdens. Adoption enhances brand value and ESG investment appeal, strengthening market positioning. Significant risks-high initial capital, technological uncertainty, market volatility, and changing policies-require forward looking planning and alignment with regulatory and financing conditions to realise long term operational and compliance benefits.
      By: YAGAY andSUN
      Summary: Forest produce provides diversified income through timber and a wide range of non-timber forest products (NTFPs) such as medicinal plants, honey, tendu leaves, and bamboo, enabling employment, value addition, and reduced dependence on agriculture. Sustainable harvesting and governance via community-based forest management and Joint Forest Management align livelihoods with conservation. Support through training, market linkages and government-NGO programs facilitates value addition and market access, while challenges-over exploitation, limited infrastructure, inconsistent policy implementation and climate risks-require targeted interventions to secure long-term socioeconomic and environmental benefits.
      By: YAGAY andSUN
      Summary: India's abundant renewable resources, youthful demographic, and growing green technology sector provide a foundation for becoming a Green Superpower, but progress is constrained by fossil-fuel dependence, fragmented policy implementation, financing gaps, rural awareness deficits, and grid and technological bottlenecks; addressing these through sustainable infrastructure investment, coherent central-state coordination, targeted green finance, and inclusive technology deployment is essential to realise large-scale green jobs, exportable clean technologies, and leadership in climate action.
      By: YAGAY andSUN
      Summary: Policy measures must prioritize rapid expansion of renewable energy capacity and related infrastructure, paired with energy efficiency standards for industry and buildings, incentives for electric mobility and public-transport electrification, and investment in energy storage. Regulatory frameworks should mandate circular-economy obligations, restrict single-use plastics, promote sustainable agriculture and large-scale afforestation, and deploy financial instruments such as green bonds and public-private partnerships to mobilize capital for clean infrastructure and climate adaptation.
      By: YAGAY andSUN
      Summary: The pervasive availability and composition of processed "junk" foods present a public health risk by supplying calories without adequate nutrition and incorporating additives-artificial flavors, colors, preservatives and sweeteners-that undermine nourishment, encourage addictive consumption, and increase risks such as obesity and metabolic disease; children are especially vulnerable, and the authors advocate parental preference for home-cooked meals and policy measures to limit exposure and harmful marketing.
      By: YAGAY andSUN
      Summary: Multi coloured fryums and papad in markets are reported to contain prohibited synthetic food dyes, creating carcinogenic, toxic, and allergenic risks, especially for children. The note attributes continued use to weak enforcement and malpractice, and urges the Food Safety and Standards Authority of India to conduct suo moto inspections, strengthen product testing and sampling, run awareness campaigns, enable consumer reporting, and impose stringent penalties to ensure compliance with permitted food colour standards.
      15 News Toggle
      Summary: Preferential trade agreement negotiations between India and the Philippines should be accelerated to move from scoping to formal talks and diversify bilateral commerce. The proposed PTA is presented as the mechanism to unlock export potential and market access in India. The Philippines seeks Indian participation in the nickel sector for processing and value chain development and proposes expanded commercial engagement across automotive, batteries, IT, pharmaceuticals, health and agriculture, with supply chain realignment as a key objective.
      Summary: The 2025-26 budget allocates most resources to committed liabilities-salaries, pensions, interest, debt repayment and grants-thereby limiting discretionary funds. It reports a fiscal deficit driven by the gap between total receipts and expenditures and details the composition of revenue receipts, including state taxes, central transfers and non-tax revenues.
      Summary: Concerns over pro Khalistani elements in New Zealand were raised, seeking cooperation to address alleged anti India activities that glorify or enable terrorism. The leaders committed to institutionalising a defence and security partnership-including joint exercises, training, port visits and a defence industry roadmap-and signed agreements on cooperation across multiple sectors. They launched free trade agreement negotiations, agreed to explore mobility arrangements for professionals to address irregular migration, and urged concerted action against terrorist organisations, financing networks, online infrastructure and safe havens.
      Summary: A provisional attachment order under the Prevention of Money Laundering Act was issued to attach assets of a former vice chancellor, former registrar, former finance controller and two bank officials after an FIR alleged diversion of university funds. Following searches and bank account analysis, investigators found institutional funds invested in property, fixed deposits, mutual funds and jewellery, prompting ED to secure assets believed to be proceeds of alleged money laundering.
      Summary: Canada asserts trade sovereignty in response to unilateral tariffs, pursuing European diplomatic support to reinforce international trade norms, and has commenced a procedural review of defence procurement to reduce dependence on certain foreign suppliers while coordinating with allies on security commitments.
      Summary: Government regulatory measures seek to boost domestic consumption by creating central bank tools for expanded low cost funding directed at consumption areas and by deploying an enlarged rebate programme through local governments to incentivise trade ins of appliances and automobiles; complementary measures include promoting AI related consumer products, regional tourism development, and social welfare expansions to support household purchasing power.
      Summary: The Prime Minister Internship Scheme mobile application expands industry-placed internships with voluntary corporate participation to bridge youth skill gaps; it targets Tier II and III youth, offers monthly and one-time financial assistance to interns, is multilingual for wider accessibility, includes a pilot assessment framework, and aims to scale placements through top companies identified by average CSR expenditure while permitting additional company enrolment.
      Summary: Benchmark indices rebounded on banking and financial stock strength and global rallies, with sectoral gains in healthcare, commodities, metals and financial services and laggards in telecommunication, realty and FMCG. Crucially, the central bank issued a regulatory assurance that IndusInd Bank remains well capitalised and directed the bank's board to complete remedial action on an identified accounting discrepancy within the month, creating a targeted regulatory directive amid ongoing foreign outflows, marginal wholesale inflationary pressures, and sensitivity to upcoming global policy meetings.
      Summary: Gold and silver hit record domestic and international price levels as investors moved into safe-haven assets; the rally reflects expectations of US monetary easing, trade tensions and tariff uncertainty, central bank buying, and heightened geopolitical risk, with futures and spot markets responding ahead of key US economic data and an FOMC meeting.
      Summary: Net direct tax receipts rose notably driven by stronger advance tax collections, with the final instalment completing year end compliance and statutory quarterly due dates under Section 208. Advance tax increased across corporate and non corporate categories; non corporate receipts outpaced corporate growth, securities transaction tax surged, gross mop up rose, substantial refunds were issued, and Revised Estimates adjusted overall direct tax and STT projections while lowering the corporate tax target relative to the Budget Estimate.
      Summary: A planned bilateral phone conversation aims to advance negotiations to end the war in Ukraine by addressing territorial arrangements and strategic infrastructure, including talks about land, power plants, and "dividing up certain assets." The summary notes Russia's annexations and partial control of contested regions, the international safety concerns regarding the Zaporizhzhia Nuclear Power Plant, and contemporaneous U.S. trade measures proposing reciprocal tariffs and additional duties on autos, steel, and aluminum.
      Summary: The Ministry of Statistics and Programme Implementation has implemented reforms to strengthen the National Statistical System for timely, quality official data, including all-India sample surveys, digital survey platforms with validation, publication of macroeconomic indicators according to an Advance Release Calendar, the eSankhyiki portal for time series and data catalogues, and grants to States/UTs under the Support for Statistical Strengthening sub-scheme to enhance state statistical capacity.
      Summary: Public procurement policy reforms on the Government e Marketplace (GeM) have expanded market accessibility by reducing transaction charges, vendor assessment fees, and caution money requirements to increase inclusion of Micro and Small Enterprises, startups, and women-led enterprises. Complementary operational measures-large-scale cloud migration and AI-powered search-are designed to improve platform scalability and procurement decision-making, enhancing transparency, buyer coverage across government entities, and overall marketplace efficiency.
      Summary: Planned US-Russia presidential communications are presented as a potential diplomatic pivot to negotiate an end to the Ukraine conflict, with anticipated discussion of territorial arrangements and control of critical infrastructure, including power plants, and supported by recent envoy-level engagement; European allies express wariness. Concurrently, the administration is pressing forward with reciprocal tariffs and additional sectoral duties as part of its domestic trade strategy, pursued alongside but separate from the diplomatic initiative.
      Summary: India and New Zealand agreed to institutionalise their defence and security partnership through joint exercises, training, port visits and a roadmap for cooperation in the defence industry; to strengthen maritime security including India's participation in Combined Maritime Forces; and to enhance counter terrorism cooperation by disrupting financing, dismantling terror infrastructure (including online) and bringing perpetrators to justice.
      8 Circulars Toggle

      Income Tax

      1.
      04/2025 - dated 17-3-2025
      Frequently Asked Questions (FAQs) on Guidelines for Compounding of Offences under the Income-Tax Act, 1961 dated 17.10.2024
      Summary: Guidelines set the framework for compounding of offences under the Income Tax Act: all offences are compoundable, compounding is not admission, and applications may be filed at any time before the jurisdictional Principal CCIT/CCIT/Pr. DGIT/DGIT using the Annexure I affidavit format. Pending applications as on issuance are governed by the revised rules without fresh filing or fee; defective applications may be cured within one month. Compounding charges are re computed for pending matters as first applications and for subsequent applications are increased by multiplicative rates per sequence, with a 50% surcharge for applications filed more than 12 months after prosecution initiation; payment extensions up to 24 months are allowable without interest.

      GST - States

      2.
      TRADE CIRCULAR No. 05/2025 - dated 13-3-2025
      Clarifying the issues regarding implementation of provisions of sub-section (5) and sub-section (6) in section 16 of WBGST Act, 2017
      Summary: Retrospective insertion of sub-section (5) and sub-section (6) to section 16 of the WBGST Act extends the period for availing input tax credit for specified past financial years and for periods affected by revocation of registration cancellation. The Amendment bars refunds of tax paid or ITC reversed due solely to these retrospective provisions, subject to an exception for pre-deposit repayments on successful appeals. A special rectification procedure under section 148 (Notification No. 309-F.T.) prescribes filing, documentation, officer responsibility and timelines to seek rectification of orders confirming demands for alleged wrong availment under sub-section (4).
      3.
      TRADE CIRCULAR No. 06/2025 - dated 13-3-2025
      Clarification of various doubts related to Section 128A of the WBGST Act, 2017
      Summary: Section 128A permits waiver of interest or penalty or both for specified section 73 demands subject to eligibility categories (notices/statements unadjudicated; orders without appellate/revisional disposal; appellate/revisional orders without tribunal disposal). Applicants must file prescribed electronic forms, pay the full tax demanded (with ELR or DRC mechanisms and limited ITC usage exceptions), and comply with timelines; officers process applications under Rule 164 issuing SPL-05/SPL-07, with deemed approval if prescribed time lapses and specific conditions making waivers void where appellate enhancements or unpaid residual interest/penalty remain.
      4.
      Trade Circular No. 12T of 2025 - dated 4-3-2025
      Clarification regarding GST rates & classification (goods) based on the recommendations of the GST Council in its 55th meeting held on 21st December, 2024, at Jaisalmer
      Summary: Clarification addresses classification and GST rates for specified goods: pepper of genus Piper attracts 5% GST; dried pepper and raisins supplied by agriculturists are exempt and not liable to registration; ready-to-eat popcorn mixed with salt and spices is HS 2106 90 99 attracting 5% GST if unpackaged and 12% if packaged and labelled, while sugar-coated popcorn is classifiable as sugar confectionery attracting 18% GST; AAC blocks with over 50% fly ash fall under HS 6815 attracting 12% GST; the amended Compensation Cess entry for utility vehicles applies from the amendment's effective date.
      5.
      Trade Circular No. 11T of 2025 - dated 3-3-2025
      Clarification on applicability of late fee for delay in furnishing of FORM GSTR-9C
      Summary: Where reconciliation statement in FORM GSTR-9C is required to be filed with the annual return in FORM GSTR-9, the annual return is complete only when both FORM GSTR-9 and FORM GSTR-9C are furnished, and statutory late fee is leviable from the due date of the annual return until the date of furnishing the complete annual return; a single late fee covers the entire period and is not separately leviable for delayed furnishing of each form. A waiver notification limits additional late fee for certain past years if reconciliation is filed by the notified cutoff, with no refund for fees already paid.
      6.
      Trade Circular No. 10T of 2025 - dated 28-2-2025
      Clarification regarding applicability of GST on certain services
      Summary: Clarification aligns CBIC Circular No. 245/02/2025-GST with the State law and clarifies GST treatment: penal charges levied by regulated entities per RBI directions are not subject to GST; RBI regulated Payment Aggregators undertaking settlement qualify as "acquiring bank" for the Sl. No. 34 exemption limited to settlement functions; multiple past positions are regularised on an "as is where is" basis (R&D grants, NSDC Training Partner exemptions, composition taxpayer rental reverse charge, incidental electricity services); facility management to MCD HQ is taxable; DDA is not a "local authority"; Goethe Institute supplies regularised.

      Customs

      7.
      PUBLIC NOTICE NO. / 2025 - dated 14-3-2025
      Intimation of suspension of Custodianship of M/s. Sudharsan Logistics Pvt. Ltd., CFS, Chennai under the provisions of Regulation 11(2) of HCCAR, 2009 – Reg.
      Summary: Custodianship of M/s. Sudharsan Logistics Pvt. Ltd., CFS, Chennai has been suspended under Regulation 11(2) of HCCAR, 2009 until further orders; fresh receipt of import/export goods into the CFS is stopped forthwith except where bills of entry or shipping bills were filed before the suspension, and goods held as on the suspension date may be cleared during office hours only after due process by the proper officer.
      8.
      Public Notice. 05/2025 - dated 28-1-2025
      Realisation of Sale proceeds on Exports - Submission of proof by Exporters -(BRC Compliance Drive from 29.01.2025 to 28.02.2025 for the submission of proof towards realisation of export sale proceeds)
      Summary: The notice requires exporters listed on the Chennai Customs portal to submit electronic Bank Realisation Certificates (e BRCs) for shipping bills recorded as unrealised, warns that drawback amounts will be recoverable with interest where export proceeds are not realised within the permitted period, and directs repayment via ICEGATE with proof of payment to the BRC Cell; ICEGATE and RBI EDPMS facilities are available for verification and rectification and the BRC Section will prioritise verification and case closure for valid submissions.
      40 Case Laws Toggle
      AI TextQuick Glance by AIHeadnote

      Topics

      ActsIncome Tax