<?xml version="1.0" encoding="UTF-8"?>
<?xml-stylesheet type="text/xsl" href="https://www.taxtmi.com/rss_sitemap/rss_feed_blog.xsl?v=1750492856"?>
<rss version="2.0" xmlns:atom="http://www.w3.org/2005/Atom">
  <channel>
    <title>Deemed dividend on shareholder debit balance upheld, but net liability remanded for interest-based recomputation.</title>
    <link>https://www.taxtmi.com/highlights?id=98786</link>
    <description>ITAT upheld the applicability of deemed dividend under section 2(22)(e) where a shareholder had the requisite shareholding, a debit balance appeared in the company&#039;s books, and the company had sufficient accumulated profits; the short duration of the debit balance did not alter its character as a shareholder advance or loan. On computation, however, the Tribunal held that the net debit balance could not be determined by ignoring accrued interest on day-to-day credit balances, and the assessee had to be given a reasonable opportunity to have that adjustment considered. The matter was therefore remanded for recomputation of the amount assessable as deemed dividend.</description>
    <language>en-us</language>
    <pubDate>Tue, 14 Apr 2026 08:03:25 +0530</pubDate>
    <lastBuildDate>Tue, 14 Apr 2026 08:03:25 +0530</lastBuildDate>
    <generator>TaxTMI RSS Generator</generator>
    <atom:link href="https://www.taxtmi.com/rss_feed_blog?id=896588" rel="self" type="application/rss+xml"/>
    <item>
      <title>Deemed dividend on shareholder debit balance upheld, but net liability remanded for interest-based recomputation.</title>
      <link>https://www.taxtmi.com/highlights?id=98786</link>
      <description>ITAT upheld the applicability of deemed dividend under section 2(22)(e) where a shareholder had the requisite shareholding, a debit balance appeared in the company&#039;s books, and the company had sufficient accumulated profits; the short duration of the debit balance did not alter its character as a shareholder advance or loan. On computation, however, the Tribunal held that the net debit balance could not be determined by ignoring accrued interest on day-to-day credit balances, and the assessee had to be given a reasonable opportunity to have that adjustment considered. The matter was therefore remanded for recomputation of the amount assessable as deemed dividend.</description>
      <category>Highlights</category>
      <law>Income Tax</law>
      <pubDate>Tue, 14 Apr 2026 08:03:25 +0530</pubDate>
      <guid isPermaLink="true">https://www.taxtmi.com/highlights?id=98786</guid>
    </item>
  </channel>
</rss>