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      TaxTMI Updates e-Newsletter
      Jun 28,2025

      Contents
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      9 Notes Toggle
      Summary: Clause 390(4) states that taxes paid by deduction or collection at source, advance payments and specified payments operate in addition to any other mode of tax collection to discharge the liability for income assessed for a tax year, preserving the tax authority's power to pursue alternative recovery measures where such anticipatory payments are provisional, insufficient, or incorrect while allowing credit or refund for any excess.
      Summary: Clause 398 deems persons required to deduct or collect tax, including principal officers and specified collectors, to be an assessee in default where tax is not deducted, not collected, or not paid to the government; relief is available if the recipient files a return, includes the relevant sum, pays the tax due and the deductor/collector furnishes a prescribed accountant's certificate. Interest is prescribed for the periods between deductibility, deduction and payment, unpaid tax plus interest is a statutory charge on assets, time limits for default orders are specified, and penalty requires satisfaction of lack of good and sufficient reasons.
      Summary: Clause 399 creates an automated framework for processing TDS and TCS statements, including correction statements, requiring rectification of arithmetical errors and adjustment of apparent incorrect claims, computation of interest and fee, determination of net payable or refundable amounts after adjusting prior payments, issuance of a formal intimation to the deductor/collector, and grant of any refund due; it also mandates that intimations be sent within a year from the end of the tax year and empowers the Board to make a centralised processing scheme.
      Summary: Clause 397(3) requires persons responsible for deduction or collection of tax, and certain employers, to pay amounts to the credit of the Central Government within prescribed time and to submit verified statements in prescribed form and manner; it mandates reporting of payments to non-residents whether or not chargeable, requires special statements for government payments without challans, permits correction statements within six years, obliges reporting of below-threshold interest payments by specified entities, and makes collectors who fail to collect liable to pay the tax.
      Summary: Clause 390(5) treats sums remitted as tax paid on behalf of the person from or in respect of whose income such tax was deducted or collected, and Clause 390(6) empowers the Board to make rules for allocating that credit to such persons or to others and for specifying the tax year for which credit is allowed, extending the scope beyond conventional TDS/TCS to include specified pre-payments and leaving operational detail to subordinate rules.
      Summary: Clause 396 deems amounts deducted under the relevant withholding chapter and income tax deducted abroad (where credit is allowed) to be income received for computing an assessee's taxable income, with specified carve out exceptions; this preserves gross income inclusion while permitting credit for taxes withheld and raises interpretative issues about the chapter's scope, the stated exceptions, cross border withholding and transitional treatment.
      Summary: Clause 393(6) permits certain recipients to avoid TDS by furnishing a prescribed written declaration that their estimated total income for the year yields nil tax; upon a valid declaration the payer must not deduct tax on specified payments and must forward a copy to tax authorities, subject to the condition that aggregate such incomes do not exceed the basic exemption limit and to general anti evasion consequences for false declarations.
      Summary: Clause 395(1) creates a mechanism for Lower Deduction Certificates allowing taxpayers to apply for lower or nil deduction of tax at source; the Assessing Officer must issue a certificate when satisfied on objective material, the deductor must apply the specified rate until the certificate's validity, and procedural details, scope, validity periods and ancillary measures are to be provided by rules.
      Summary: Clause 393 establishes a tabular TDS regime on income from securities, distinguishing taxable securities income from capital gains and exempt receipts. Clause 393(2) prescribes withholding entries for Foreign Institutional Investors with rates referenced to an interpretative note and a 10% rate for specified funds, subject to documentation for treaty benefits. Clause 393(4) consolidates exemptions by excluding capital gains payable to foreign investors and exempt income of specified funds from TDS, aiming to avoid unnecessary withholding and refund procedures.
      42 Highlights Toggle
      6 Articles Toggle
      By: YAGAY andSUN
      Summary: Overlapping labelling requirements across Legal Metrology, BIS, and Environmental Standards create compliance and consumer-information challenges. Legal Metrology prescribes net quantity and transactional declarations; BIS mandates quality and material specifications; environmental rules demand sustainability and hazard disclosures. Conflicts in formatting and definitions, fragmented oversight, and multiple marks on packaging increase non-compliance risk and consumer confusion. Harmonisation efforts, digital labelling (QR/NFC), blockchain traceability, and standardized templates are proposed solutions, alongside cross-functional manufacturer practices and proactive regulator engagement to streamline compliance and improve label clarity.
      By: YAGAY andSUN
      Summary: AI and automation deliver process optimisation, predictive maintenance, supply-chain automation, automated quality control, and innovation in the chemical industry, but they raise concentrated compliance risks in customs classification, legal metrology verification, data integrity, regulatory uncertainty, and cybersecurity. Managing those risks requires robust data governance, regulatory engagement, tailored cybersecurity, continuous training, and periodic audits and re-certification of automated measuring instruments to ensure statutory verification and trade compliance.
      By: Ramesh Agrawal
      Summary: Municipal anti-encroachment campaign demolished unauthorised shop extensions and a run-down building in a crowded market with police support after repeated warnings, and removed multiple illegal water connections breaching a main pipeline, with officials stating the clearance operation is ongoing under civic administration direction.
      By: Bimal jain
      Summary: Orders in GST adjudication issued without a proper show cause notice in the prescribed form, without requisite authentication, or without granting the affected party a personal hearing violate procedural requirements; summary communications and statements of determination do not substitute for a detailed SCN, and failure to observe prescribed formats and the right to be heard renders the adjudication procedurally defective.
      By: Abhishek Raja
      Summary: GST registration is characterised as a fundamental right under Articles 14, 19(1)(g) and 21, requiring cancellations to be grounded in specific statutory criteria and to observe the Principles of Natural Justice: clear notice, opportunity of hearing and a reasoned order. Courts have held that labels such as "bogus" or mere non-filing of a reply cannot justify automatic cancellation; orders lacking reasons or made without hearing violate equality and livelihood protections and are remitted for fresh adjudication.
      By: Bimal jain
      Summary: Service tax on commission shown in export invoices is not leviable under the reverse charge where no contract or direct payment relationship exists between the Indian exporter and the foreign commission agent; the reverse charge requires a service provider-recipient nexus, and disclosed commission in export documentation negates suppression justifying extended limitation.
      15 News Toggle
      Summary: India recorded a quarterly current account surplus driven by higher services exports and personal remittances, with moderated primary income outflows supporting the position. Merchandise trade remained in deficit while FDI inflows weakened and portfolio investment turned to net outflows; foreign exchange reserves saw modest accretion on a BoP basis. Annually, the current account stayed in deficit but narrowed due to stronger invisibles receipts despite weaker financial account inflows.
      Summary: A core inflation gauge rose in May, with headline and core inflation modestly above the central bank's benchmark while personal spending and incomes fell. The report notes limited pass through from recent tariff measures due to advance importing and firms absorbing costs, and it identifies implications for Federal Reserve policy deliberations amid one time Social Security adjustments and volatile durable goods spending.
      Summary: A court summoned Harsatinder Pal Singh Hayer as an accused in an alleged money laundering probe arising from purported fraudulent investment schemes, after the Enforcement Directorate found prima facie material that funds were diverted as proceeds of crime to overseas entities controlled by Hayer and invested in Australian real estate; the ED has attached domestic and foreign assets, filed chargesheets, and shared asset details with a court-appointed committee for disposal and investor restitution.
      Summary: Saatvik Green Energy states it is proposing an initial public offering, has filed a Draft Red Herring Prospectus with regulators and exchanges, and that the offer is subject to statutory and regulatory approvals, market conditions and other considerations. The company warns investors to consult the DRHP's Risk Factors and not to rely on the press release. It also discloses that the Equity Shares are not registered under the U.S. Securities Act and will be offered offshore under Regulation S and within the United States only to qualified institutional buyers under the private placement exemption.
      Summary: A Reserve Bank of India weekly report records a decline in foreign exchange reserves, driven by falls in Foreign Currency Assets and Gold Reserves, with smaller decreases in Special Drawing Rights and the reserve position with the IMF; foreign currency asset values are presented in US dollar terms and reflect valuation effects from non US currencies held in the reserve portfolio.
      Summary: The draft amends rule 11(2) to include Finance Companies registered with IFSCA within the exemption framework that currently applies to RBI registered NBFCs, covering specified lending and treasury centre activities conducted in the ordinary course of business. The change is aimed at parity to ease doing business in IFSC jurisdiction. Stakeholders are invited to submit comments and justifications via the Ministry's e consultation portal within the stated comment period prior to gazette notification and commencement.
      Summary: Just over half of surveyed MSMEs report GST registration with regular filings, which the summary links to improved credit eligibility via verifiable financial histories and input tax credit benefits; a subset seeks GST-linked loan products with better pricing or flexible tenures. Concurrently, most MSMEs continue to rely substantially on physical cash for transactions (excluding UPI), a pattern said to hinder digitization and limit access to formal credit, thereby supporting targeted digital payment adoption and compliance-linked lending initiatives.
      Summary: APEDA facilitated the inaugural refrigerated export of premium rose scented litchi from Pathankot to Gulf markets, coordinating with the Department of Horticulture, a retailer, and a local grower to expand market access for FPOs, FPCs and individual farmers through cold chain shipment and regional production linkages.
      Summary: Proposal to tighten Aadhaar issuance rules for adults so that Aadhaar is issued only after thorough verification and with final approval by the District Commissioner, intended to prevent illegal immigrants from obtaining identity credentials and to assist in their detection and deportation.
      Summary: Global markets rose on signs of progress in US-China trade talks and a Middle East ceasefire, with China indicating it would approve exports of controlled items meeting legal conditions and the US expected to lift certain restrictive measures; the statements did not explicitly secure rare earths access. European and US indices strengthened while Asian markets were mixed amid a decline in Chinese industrial profits and divergent US economic indicators. Tariff uncertainty has eased but continues to pressure margins and sentiment, and modest commodity and currency movements accompanied the market reaction.
      Summary: Authorization as a licensed online payment aggregator permits Instifi to operate regulated digital payment services, including card processing, UPI, net banking and virtual accounts, enabling merchant onboarding and payment processing in urban and underserved markets while triggering compliance obligations and operational governance required of licensed payment operators.
      Summary: A dedicated unsecured educational loan for legal professionals finances LL.M expenses through a high-value product with competitive interest rates, minimal documentation, quick online application and fast disbursal. Eligible applicants must be Indian citizens within the stated age range, hold a valid SANAD, and meet the minimum credit-score requirement; standard KYC, PAN, and SANAD proof must be submitted. The lender operates as an NBFC and the product is subject to the lender's terms, credit assessment, and approval processes.
      Summary: The statement presents MSME-focused administrative measures-ODOP rollout with district facilitation centres, enterprise insurance for registered units without additional premium, and an interest-free youth loan scheme with state subsidy-framed as merit-based, non-discriminatory instruments to boost exports, formalize micro and small enterprises, attract larger industrial investment through anchor units, and promote economic growth linked to improved governance and public order.
      Summary: India's engineering exports marginally declined in May due to a higher statistical base and geopolitical tensions, with shipments at about USD 9.89 billion and the sector's merchandise export share rising to 25.53 per cent; exports to some major destinations grew while others fell, and April-May cumulative exports grew 4.77 per cent to roughly USD 19.40 billion. EEPC India urged government support for strategic technology development and market diversification to strengthen future export performance.
      Summary: A bilateral trade agreement between the United States and China has been reported signed, formalising prior Geneva and London understandings to scale back threatened punitive tariff hikes while leaving certain targeted duties in place. Details were not disclosed by US officials and China made no full announcement. Separately, China accelerated export licensing for rare earths, indicating coordinated regulatory adjustments in export controls that intersect with the tariff reduction framework and continued use of selective trade measures to manage industrial and security risks.
      3 Notifications Toggle

      Customs

      1.
      21/2025 - dated - 26-6-2025 - ADD
      Seeks to impose Anti Dumping Duty on imports of “Plastic Processing Machines” originating in, or exported from China PR and Taiwan for a period of 5 years
      Summary: An anti-dumping duty is imposed for five years on imports of Plastic Processing Machines (tariff items 8477 10 00 / 8477 90 00) originating in or exported from China PR and Taiwan, following findings of dumping and material injury to the domestic industry. The scope covers injection moulding machines with clamping force between 40 and 1500 tonnes, including SKD and CKD forms, with specified exclusions. Duty rates are producer- and origin-specific, set as ad valorem percentages on CIF value, payable in Indian currency using the notified exchange rate.
      2.
      04/2025 - dated - 26-6-2025 - CVD
      Seeks to impose CVD on imports of " Effect pearlescent pigments or mica pearlescent pigments, excluding effect pigments for automotive applications " originating in or exported from China PR for a period of 5 years
      Summary: Imposition of countervailing duty on effect pearlescent or mica pearlescent pigments (excluding automotive effect pigments) originating in or exported from China PR, applying specified CIF based percentage rates to named producers and residual rates for other producers or export scenarios; operational rules specify interactions with anti dumping duties for natural and synthetic grades, exclude automotive applications from CVD, and treat customs classification as indicative. The duty is payable in Indian currency for five years and uses government exchange rates and CIF assessable value for calculation.

      DGFT

      3.
      21/2025-26 - dated - 27-6-2025 - FTP
      Port restriction on import of certain goods from Bangladesh to India under ITC (HS), 2022 Schedule 1 (Import Policy)
      Summary: Imports of specified jute, flax and related textile bast fibre goods from Bangladesh are prohibited through land ports on the India-Bangladesh border and permitted only via Nhava Sheva seaport; a transit exception allows Bangladesh exports to Nepal or Bhutan to pass through India but bars re export of those goods from Nepal/Bhutan into India.
      2 Circulars Toggle

      SEBI

      1.
      SEBI/HO/CFD/CFD-PoD-2/P/CIR/2025/93 - dated 26-6-2025
      Industry Standards on “Minimum information to be provided to the Audit Committee and Shareholders for approval of Related Party Transactions”
      Summary: SEBI incorporates Industry Standards into the Master Circular to require listed entities to provide a standardized minimum set of information to the audit committee and to include specified details in shareholder explanatory statements when seeking approval of Related Party Transactions, aligning these requirements with Regulation 23 of the listing obligations and disclosure framework.

      GST - States

      2.
      34/2024- GST of State Tax - dated 16-5-2025
      Clarification in respect of input tax credit availed by electronic commerce operators where services specified under Section 9(5) of Central Goods and Services Tax Act, 2017 are supplied through their platform
      Summary: The Board clarifies that an electronic commerce operator liable to pay tax in respect of specified services notified as taxable on the operator is not required to reverse input tax credit on inputs and input services proportionately; nevertheless, the full tax liability on those specified services must be discharged only through the electronic cash ledger and ITC cannot be utilized to pay that liability, though such ITC may be used to discharge tax on supplies made by the operator on its own account.
      64 Case Laws Toggle
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