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
      Jul 20,2026

      Contents
      Note

      Note

      -

      Bookmark

      Print

      Print

      Collapse
      36 Highlights Toggle
      10 Articles Toggle
      By: Pradeep Yadav
      Summary: Retracted confessional statements recorded under Section 108 of the Customs Act require independent and reliable corroboration when retracted at the earliest opportunity before a judicial authority. Uncorroborated statements of co-accused persons are fragile evidence and cannot alone establish liability against another noticee. Physical recoveries, financial trails, or reliable communication evidence may provide corroboration. Findings based only on retracted statements, co-accused statements, assumptions, and presumptions lack a sufficient evidentiary basis for personal penalties in customs proceedings.
      By: Ca Tushar Makkar
      Summary: A repeatable stock-evaluation framework involves broad screening, understanding the business model, reviewing annual-report disclosures, assessing financial quality and valuation, and maintaining an investment journal. Annual-report analysis should include management discussion, notes to accounts, related-party transactions, contingent liabilities, accounting-policy changes, and the relationship between operating cash flow and reported profit. Key considerations include return on equity, operating margins, free cash flow, sector-adjusted leverage, promoter holding and pledging, and valuation relative to historical performance, peers, and earnings growth.
      By: YAGAY andSUN
      Summary: Fire compliance requires commercial premises to meet applicable fire safety laws, codes and local requirements through detection, alarm and suppression systems, maintained extinguishers, safe exits, emergency lighting, electrical safeguards, evacuation planning, staff training and records. A Fire NOC may be required, depending on the premises and local rules, before occupation, operations, licensing, changes of use or expansion. The process generally involves installing prescribed measures, submitting required documentation, inspection, correction of deficiencies and certification. Compliance continues after approval through testing, maintenance, drills, training, accessible exits and prompt rectification of defects.
      By: YAGAY andSUN
      Summary: The India-United Kingdom Comprehensive Economic and Trade Agreement provides for tariff liberalisation, wider market access, services trade, professional mobility, government procurement access, customs facilitation and cooperation on intellectual property and digital trade. Rules of origin limit preferential tariffs to goods genuinely originating in either country and seek to prevent transhipment and misuse of preferences. A related Double Contribution Convention is described as reducing simultaneous social-security contribution obligations for eligible temporary workers. Implementation requires compliance with technical standards, customs and certification adjustments, and management of competition and carbon-border trade issues.
      By: Bimal jain
      Summary: GST treatment of an arbitral-award settlement depends on whether an independent agreement requires a party, for consideration, to tolerate an act, refrain from an act, or perform an act. Payment solely towards damages awarded for contractual breach remains compensatory, even where enforcement proceedings are withdrawn or suspended upon satisfaction of the award. Such enforcement steps may be incidental to discharge of the award rather than a separate supply. CBIC guidance supports the position that breach-related damages are not consideration for taxable supply without a specific agreement and consideration for toleration or forbearance.
      By: DR.MARIAPPAN GOVINDARAJAN
      Summary: GST registration cancellation must be based on specified statutory grounds and preceded by a prescribed show-cause notice and opportunity to reply. The proper officer cannot cancel registration on a ground different from that stated in the notice, since the registered person must be specifically informed of the proposed basis and supporting material to respond effectively. Where valid grounds exist, a fresh notice stating those grounds may be issued and decided in accordance with law. Cancellation does not extinguish pre-cancellation tax liabilities or statutory obligations.
      By: Bimal jain
      Summary: Outbound international tour packages arranged by an Indian tour operator for Indian tourists before the negative-list regime are examined as taxable Tour Operator Service where both provider and recipient are in India. The article explains that overseas performance does not by itself make the service an export, because pre-negative-list taxability is determined under the Finance Act, 1994 rather than taxable-territory principles. Conflicting legal views on the issue may preclude alleging suppression for extended limitation, confining liability and interest to the normal period and excluding penalties.
      By: DR.MARIAPPAN GOVINDARAJAN
      Summary: Best judgment assessment may be made where a registered person does not file the prescribed GST return despite notice. The assessment is deemed withdrawn if a valid return is furnished within the applicable statutory period after service of the order. The period is 60 days from 1 October 2023, with a further 60 days available on payment of an additional daily late fee. Withdrawal of the assessment does not remove liability for interest on delayed tax payment or statutory late fee.
      By: YAGAY andSUN
      Summary: Alcoholic liquor for human consumption is regulated through State constitutional powers over intoxicating liquors and State excise duties, creating separate State-regulated markets. Although packaged commodities generally carry maximum retail price disclosures, alcohol prices may be approved under State excise mechanisms after accounting for State-specific duties, licence fees, levies, landed cost and prescribed margins. Alcohol remains outside GST, and imported products also undergo customs, import approval, labelling and State pricing processes. A nationwide MRP is therefore impracticable where statutory charges and authorised prices differ across States. Licensed retailers must comply with applicable excise rules, licence conditions and approved price lists.
      By: YAGAY andSUN
      Summary: Alcoholic beverages are regulated through State-approved retail selling prices rather than a uniform nationwide manufacturer-declared maximum retail price. Licensed liquor retailers must prominently display authorised price lists and adhere to those prices. State-specific prices reflect applicable taxation, fees and authorised margins. Failure to display prices or charging beyond approved rates may breach licence conditions and may lead to regulatory action. Consumers may compare the displayed price with the bill and payment demanded, retain purchase records, and report suspected overcharging.
      9 News Toggle
      Summary: Onion growers seek development of Nashik as a National Onion Export Hub linked to the proposed agricultural market near Vadhvan port. The proposed framework includes an onion export terminal, grading, sorting, packing, quality testing and customs-clearance facilities, and rail, container and cold-chain logistics. Additional requests include a stable national onion export policy, support for processing industries, direct farmer producer organisation participation in exports, an export promotion cell, and a training, research and export-guidance centre.
      Summary: Full export-import (EXIM) operations at Vizhinjam International Seaport are scheduled to commence from August 18, transitioning the port from a transshipment hub into an international cargo gateway. The launch is intended to reduce logistics costs, improve supply-chain efficiency, enhance export competitiveness, and support investment and employment. The port will continue as an open-access, common-user facility serving shipping companies on an equal basis.
      Summary: India-Finland cooperation was advanced through discussions on telecommunications, digital infrastructure, electronics manufacturing, research and development, innovation, clean technologies, advanced materials, and technology transfer. Further priorities included smart urban infrastructure, sustainable construction, advanced manufacturing, localisation, industrial machinery, clean industrial solutions, and investment. The engagements also explored EV charging infrastructure and reinforced business-to-business linkages for long-term cooperation in technology, sustainable manufacturing, research, and investment.
      Summary: Alternative oil export routes from Iraq are being pursued through agreements to develop pipeline capacity that can reduce reliance on the Strait of Hormuz. Planned pipelines would support larger-scale exports through Syria and Turkey and strengthen energy-security options amid disrupted maritime shipments. Their timing and viability remain uncertain because cross-border construction requires substantial development and coordination. Existing overland shipments through Syria offer a temporary, but less efficient and more costly, route to European markets. Iraq has emphasised its preference for long-term investment partnerships over project-based contracting.
      Summary: A fraud investigation concerning an alleged real-estate investment scheme was transferred to the Serious Fraud Investigation Office because the named company was stated to be part of a wider alleged shell-company network already under its examination. The FIR was not quashed, as the complainant's individual transaction had not been investigated. A single specialised inquiry was considered necessary to prevent fragmented or conflicting investigations into an allegedly indivisible fraud scheme.
      Summary: Foreign exchange market movement saw the rupee appreciate against the US dollar, supported by positive domestic equity-market performance, lower US Treasury yields and reported possible central-bank intervention. Elevated West Asia tensions, higher global crude-oil prices and cautious foreign investment flows continued to pressure the currency. Market attention remained focused on global developments, crude-oil movements and foreign institutional investment activity, alongside an increase in foreign-exchange reserves.
      Summary: A memorandum of understanding supports Madhya Pradesh businesses, including MSMEs, entrepreneurs, direct-to-consumer brands, manufacturers, weavers, artisans and producers, in accessing international customers through the Amazon Global Selling programme. The collaboration will improve e-commerce export awareness, exporter readiness and knowledge sharing, while developing a state export roadmap with policy and infrastructure recommendations. It will also identify interventions relating to logistics, access to finance, payment reconciliation and regulatory enablers for cross-border exports.
      Summary: Proposed trade tariffs on purchases of Russian oil would target specified countries, including India and China, while exempting European purchasers of Russian gas. Separately, tighter United States visa regulations for international students, exchange visitors and journalists would end a long-standing arrangement allowing indefinite residence without government oversight. The reported changes may materially affect foreign nationals, including Indian nationals, through differentiated trade treatment and enhanced immigration compliance requirements.
      Summary: The clean slate doctrine under the Insolvency and Bankruptcy Code is described as abating or extinguishing pending civil suits and arbitration involving pre-insolvency operational claims that had not crystallised into determinable and quantifiable amounts before resolution-plan approval. Claims must be submitted to and determined by the resolution professional, and only crystallised claims incorporated in the approved plan remain payable under its prescribed treatment. Once final, the creditor list and approved plan bind all stakeholders.
      3 Notifications Toggle

      Income Tax

      1.
      91/2026 - dated - 17-7-2026 - Inc.Tax Act 2025
      Transactions not regarded as transfer. - Central Government notifies transfer of capital asset from Nuclear Power Corporation of India Limited u/s 47(viiaf) of IT Act 1961 and U/s 536(2) of Income-tax Act, 2025
      Summary: Capital asset transfer between public sector companies is notified for the non-transfer exemption under clause (viiaf) of section 47 of the Income-tax Act, 1961, read with section 536(2) of the Income-tax Act, 2025. It covers the transfer of a capital asset by Nuclear Power Corporation of India Limited to Anushakti Vidhyut Nigam Limited under a Central Government-approved plan. The notification applies for financial year 2025-26, corresponding to assessment year 2026-27.
      2.
      90/2026 - dated - 17-7-2026 - Inc.Tax Act 2025
      Approval under Section 45(4)(b) of the Income Tax Act, 2025 for " Indian Institute of Information Technology Dharwad ".
      Summary: Scientific research approval is granted to the Indian Institute of Information Technology Dharwad for the specified tax years, subject to compliance with prescribed conditions. The institution must prepare and deliver the required annual donation statement in Form No. 15 to the designated income-tax systems authority by 31 May following the relevant tax year. It must also issue donors a Form No. 16 certificate stating the amount donated.
      3.
      89/2026 - dated - 17-7-2026 - Inc.Tax Act 2025
      Central Government specifies the bond as zero coupon bond
      Summary: The Central Government has specified the Ten Year Zero Coupon Bond of the National Bank for Financing Infrastructure and Development as a zero coupon bond for the purposes of the Income-tax Act, 2025. The bond has a ten-year life and is to be issued on or before 31 March 2028. The notification specifies its maturity or redemption amount, discount and proposed number of bonds, and remains effective subject to compliance with conditions under the Income-tax Act, 2025 and the Income-tax Rules, 2026.
      1 Circulars Toggle

      FEMA

      1.
      19 - dated 17-7-2026
      Special Rupee Vostro Accounts (SRVAs)
      Summary: Special Rupee Vostro Accounts provide an additional Indian-rupee arrangement for settling cross-border export and import transactions and permissible FEMA current-account and capital-account transactions. Authorised Dealer Category-I banks may open SRVAs for overseas branches or banks resident outside India and may open dedicated additional current accounts for exporters or importers. SRVAs may receive inward remittances, transfers from repatriable rupee accounts and proceeds of permissible transactions. Documentation and reporting remain governed by extant FEMA requirements, while debt investments from SRVA balances are subject to applicable non-resident investment directions.
      50 Case Laws Toggle
      AI TextQuick Glance by AIHeadnote

      Topics

      ActsIncome Tax