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    <title>Ind AS and ICDS tax computation principles prevent taxation of notional income and unsupported double disallowances.</title>
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    <description>Ind AS book entries do not independently determine taxable income, which must be computed under the Act and applicable ICDS. Notional security-deposit amortisation and deferred royalty recognition did not create taxable income where no real accrual occurred or consideration had already been taxed; related additions were deleted. EPCG duty benefits were governed by the statutory actual-cost treatment rather than Ind AS grant presentation, and the addition was deleted. ICDS IX capitalisation differences did not establish double deduction without evidence. Transferable development-right cost, leave provision and gift expenditure required verification or fresh adjudication. Weighted R&amp;D deduction remained available where the facility was approved, despite the prescribed authority not issuing Form 3CL.</description>
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    <pubDate>Thu, 20 Aug 2026 08:14:28 +0530</pubDate>
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      <description>Ind AS book entries do not independently determine taxable income, which must be computed under the Act and applicable ICDS. Notional security-deposit amortisation and deferred royalty recognition did not create taxable income where no real accrual occurred or consideration had already been taxed; related additions were deleted. EPCG duty benefits were governed by the statutory actual-cost treatment rather than Ind AS grant presentation, and the addition was deleted. ICDS IX capitalisation differences did not establish double deduction without evidence. Transferable development-right cost, leave provision and gift expenditure required verification or fresh adjudication. Weighted R&amp;D deduction remained available where the facility was approved, despite the prescribed authority not issuing Form 3CL.</description>
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