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
Make Most of Text Search
  1. Checkout this video tutorial: How to search effectively on TaxTMI.
  2. Put words in double quotes for exact word search, eg: "income tax"
  3. Avoid noise words such as : 'and, of, the, a'
  4. Sort by Relevance to get the most relevant document.
  5. Press Enter to add multiple terms/multiple phrases, and then click on Search to Search.
  6. Text Search
  7. The system will try to fetch results that contains ALL your words.
  8. Once you add keywords, you'll see a new 'Search In' filter that makes your results even more precise.
  9. Text Search
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 ✕
🔎 TMI Notes - Adv. Search
TEXT SEARCH:

Press 'Enter' to add multiple search terms. Rules for Better Search

Search In:
Main Text + AI Text
  • Main Text
  • Main Text + AI Text
  • AI Text
Law:
---- All Laws----
  • ---- All Laws----
  • Benami Property
  • Bill
  • Central Excise
  • Companies Law
  • Customs
  • DGFT
  • FEMA
  • GST
  • GST - States
  • IBC
  • Income Tax
  • Indian Laws
  • Money Laundering
  • SEBI
  • SEZ
  • Service Tax
  • VAT / Sales Tax
Types:
---- All Types ----
  • ---- All Types ----
  • Act Rules
  • Case Laws
  • Circulars
  • Manuals
  • News
  • Notifications
Sort By: ?
In Sort By 'Default', exact matches for text search are shown at the top, followed by the remaining results in their regular order.
RelevanceDefaultDate
    Determination of cost of specified transfers u/s 49 - the transfer of an asset, being the asset held...
    Determination of cost of specified transfers u/s 49 - Transfer in casa of Land Pooling Scheme cover...
    Determination of cost of specified transfers u/s 49 - transfer of land or building under a specified...
    Determination of cost of specified transfers u/s 49 - in case of conversion of preference shares of ...
    Determination of cost of specified transfers u/s 49 - in case of any transfer by a unit holder of a ...
    Determination of cost of specified transfers u/s 49 - any transfer in a demerger, of a capital asset...
    Mode of computation Capital Gains u/s 48 - Indexed Cost - Cost Inflation Index - reference of 1st d...
    Mode of computation Capital Gains u/s 48 - full value of consideration - in case of an assessee bein...
    Capital Gains - conversion of preference shares of a company into equity shares of that company shal...
    Capital Gains - transfer made outside India of a capital asset being rupee denominated bond of India...
    Capital Gain - date of transfer of land or building under a specified agreement (e.f. Joint Developm...
    Deemed profit u/s 44AD - existing rate of deemed total income of 8% reduced to 6% in case of total t...
    Threshold limit for getting books of accounts audited u/s 44AB - Limit enhanced from 1 Crore Rupees ...
    Threshold limit for maintenance of books of accounts in case of individuals and HUF - Monetary limit...
    Interest Income on the bad or doubtful debts not to be taxed on accrual of income basis - co-operati...
    Payment of Interest to Co-operative Banks shall be allowed on actual payment basis as is allowed in ...
    Change in the Definition of Actual Cost in respect of Capital Assets in respect of which deduction o...
    Capital expenditure - Change in the Definition of Actual Cost u/s 43(1) - Disallowance of depreciati...
    Restriction on payment Specified persons u/s 40A(2) - specified domestic transaction which were subj...
    Restriction on payment of expenditure in Cash u/s 40A(3) - Cash payment in excess of ₹ 10,000 ...
❯❯
MaximizeMaximizeMaximize
0 / 200
Expand Note
Add to Folder

No Folders have been created

    +

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

    NOTE:

    Notes
    Showing Results for :
    Reset Filters
    Results Found:
    Show All SummariesHide All Summaries
    Act RulesBills
    Show AI Summary
    Deemed cost of acquisition set as fair market value where accreted income is taxed under Chapter XIIEB.
    Where capital gain arises from transfer of an asset held by a trust or institution for which accreted income has been computed and tax paid under Chapter XIIEB, the cost of acquisition of that asset shall be deemed to be the fair market value taken into account for computing accreted income as on the specified date referred to in sub section (2) of section 115TD.
    Act RulesBills
    Show AI Summary
    Cost of acquisition tied to stamp duty value for land pooling allotments determining capital gains computation.
    Where capital gains arise from transfer of a specified capital asset received under the Andhra Pradesh Capital City Land Pooling Scheme and transferred after two years from the end of the financial year in which possession was handed over, the cost of acquisition shall be deemed to be the stamp duty value of the asset as on the last day of the second financial year after the end of the financial year when possession was handed over; the amendment also defines "stamp duty value."
    Act RulesBills
    Show AI Summary
    Cost of acquisition set as deemed full value of consideration for project-share transfers under development agreements, effective 2018-19.
    The amendment provides that the cost of acquisition of a share in a project consisting of land or building, given as consideration under specified agreements (for example, joint development agreements), shall be the amount deemed as the full value of consideration under the related provision, subject to the proviso excluding certain capital assets, and applies prospectively from the effective date for subsequent assessment years.
    Act RulesBills
    Show AI Summary
    Deemed cost of acquisition: equity received on conversion of preference shares treated as costing the original preference shares.
    A new deeming provision treats the cost of acquisition of equity shares received in consideration of a transfer under clause (xb) of section 47 as the cost of the preference shares in relation to which those equity shares are acquired, thereby carrying over the preference share cost for computing capital gains.
    Act RulesBills
    Show AI Summary
    Cost of acquisition rule: consolidated-plan unit transfers deemed to carry forward cost from consolidating-plan units, affecting capital gains.
    The amendment deems the cost of acquisition of a capital asset comprising unit(s) in a consolidated mutual fund plan to be the cost of acquisition of the corresponding unit(s) in the consolidating plan when the consolidated units were obtained by a specified transfer, thereby fixing the cost basis for capital gains computation.
    Act RulesBills
    Show AI Summary
    Cost basis for demerger transfers: previous owner's acquisition cost to determine transferee's cost for share transfers.
    Where shares in an Indian company are transferred in a demerger, the transferee's cost of acquisition shall be the cost for which the previous owner acquired those shares, increased by any cost of improvements, by virtue of the Clause 25 amendment; the change takes effect from 1 April 2018 and applies to assessment year 2018-19 onward.
    Act RulesBills
    Show AI Summary
    Indexed cost base changed for capital gains computation, altering base-year reference and effective assessment period.
    Amendment revises the benchmark year used in the computation of the indexed cost of acquisition by replacing the earlier base-year reference with a more recent base year, with consequential changes to the mode of computation and prospective application to the stated assessment year and subsequent years, thereby altering the use of the Cost Inflation Index in proportionately adjusting cost of acquisition for capital gains.
    Act RulesBills
    Show AI Summary
    Capital gains computation: rupee appreciation on redemption of rupee bonds held by non-residents excluded from full value.
    Amendment clarifies that for a non-resident holder of a rupee-denominated bond of an Indian company, any gain arising from appreciation of the rupee against a foreign currency at redemption shall be ignored in computing the full value of consideration for capital gains; the change substitutes "held by" for "subscribed by" and operates prospectively from the notified effective date.
    Act RulesBills
    Show AI Summary
    Conversion of preference shares into equity not treated as transfer, changing capital gains treatment from assessment year 2018-19.
    The Finance Bill, 2017 adds a new clause excluding conversion of preference shares into equity of the same company from the definition of transfer for capital gains purposes. This amendment, aligning preference-share conversion with existing non-transfer treatment for bond or debenture conversions, takes effect from 1 April 2018 and applies to assessment year 2018-19 onward.
    Act RulesBills
    Show AI Summary
    Capital gains exemption for non resident rupee bonds: transfers outside India between non residents not treated as transfer.
    The Bill inserts a provision that any transfer made outside India of a capital asset consisting of a rupee denominated bond of an Indian company issued outside India, where both transferor and transferee are non residents, shall not be regarded as transfer for capital gains purposes; this change complements existing non recognition for conversion of bonds into shares and applies prospectively from the operative year specified in the Bill.
    Act RulesBills
    Show AI Summary
    Capital gains timing under specified development agreements: tax charged when project completion certificate is issued, using stamp duty value.
    Section 45 is amended by inserting section 45(5A) to tax capital gains of individuals and HUFs from transfers of land or building under specified agreements in the previous year when the competent authority issues the project completion certificate; the stamp duty value of the assessee's share on that date, increased by any cash consideration, is deemed the full value of consideration. If the assessee transfers the share on or before that certificate date, capital gains are taxable in the year of that transfer and general provisions (excluding section 45(5A)) apply to determine full value. The amendment defines key terms and takes effect from 1 April 2018.
    Act RulesBills
    Show AI Summary
    Deemed profit rule change - lower presumptive rate for receipts received through banking channels, other receipts remain at higher rate.
    Amendment inserts a proviso reducing the deemed total income rate under the presumptive taxation regime for the portion of turnover or gross receipts received by account payee cheque, account payee bank draft or electronic clearing through a bank account during the previous year or by the return due date; the original rate continues to apply to receipts received by other modes. The change takes effect from the fiscal start date and applies to the specified assessment year and subsequent years.
    Act RulesBills
    Show AI Summary
    Audit threshold increase for presumptive taxation reduces audit applicability where turnover does not exceed prescribed limit.
    A proviso to the tax audit requirement exempts persons who declare profits under the presumptive taxation scheme and whose total sales, turnover or gross receipts do not exceed the revised turnover ceiling, thereby narrowing the class required to obtain an audit when they comply with sub section (1) of the presumptive taxation provision. The amendment is effective from 1 April 2017 for the relevant assessment year and subsequent years.
    Act RulesBills
    Show AI Summary
    Maintenance of books obligation raised for individuals and HUFs, reducing the number required to keep accounts under tax law.
    The amendment raises the monetary thresholds triggering the maintenance of books and documents for individuals and Hindu undivided families: income threshold increased from one lakh twenty thousand rupees to two lakh fifty thousand rupees, and total sales/turnover/gross receipts threshold increased from ten lakh rupees to twenty five lakh rupees; the change applies from 1 April 2018 for assessment year 2018 19 and onward.
    Act RulesBills
    Show AI Summary
    Interest income recognition on bad debts: cooperative banks aligned with accrual-or-receipt tax treatment for recovered interest.
    Amendment extends the rule that interest on certain bad or doubtful debts is taxable in the year it is credited to profit and loss or actually received, whichever is earlier, to co-operative banks while excluding primary agricultural credit societies and primary co-operative agricultural and rural development banks; it also adds in-section definitions of those terms and specifies a prospective operative date applying to the indicated assessment year and subsequent years.
    Act RulesBills
    Show AI Summary
    Deductibility of interest: interest on co-operative bank borrowings allowed only on actual payment, with specified exclusions.
    Interest on loans or advances from co-operative banks will be allowable as a deduction only if actually paid on or before the due date of filing the return for the relevant previous year; exclusions apply to primary agricultural credit societies and primary co-operative agricultural and rural development banks, and statutory definitions for those terms are incorporated to define scope and application prospectively.
    Act RulesBills
    Show AI Summary
    Actual cost adjustment for assets subject to investment-linked deduction reduces cost by allowable depreciation, altering basis for deemed income.
    The proviso to Explanation 13 provides that where a capital asset in respect of which deduction or part of deduction was allowed under section 35AD is deemed to be the assessee's income under sub section (7B), the asset's actual cost shall be the actual cost reduced by an amount equal to depreciation calculated at the rate in force that would have been allowable had the asset been used for business since acquisition.
    Act RulesBills
    Show AI Summary
    Restriction on cash payments for capital expenditure conditions recognition of actual cost and depreciation claims on payment mode compliance.
    Amendment adds a proviso to section 43(1) that excludes from the actual cost for depreciation any expenditure on acquisition of an asset where payments to a person in a day exceed a specified cash threshold unless made by account-payee cheque, account-payee bank draft or electronic clearing system through a bank account, thereby conditioning depreciation eligibility on permitted modes of payment.
    Act RulesBills
    Show AI Summary
    Restriction on deduction for specified domestic transactions removes arm's length deduction and subjects payments to disallowance rules.
    The Finance Bill 2017 amends section 40A to withdraw automatic deductibility for payments under specified domestic transactions made at Arm's Length Price; such payments are now subject to the disallowance rules of section 40A(2). The amendment also alters the proviso to clause (a) of sub section (2) consequential to the transfer pricing provision, aligning domestic specified transaction treatment with the transfer pricing framework and applying retrospectively as provided in the Bill.
    Act RulesBills
    Show AI Summary
    Restriction on cash payments: non banked payments above the prescribed limit are nondeductible and may be taxable.
    Amendment lowers the cash payment threshold for deductibility from twenty thousand rupees to ten thousand rupees per person per day and requires payments above that limit to be made by account payee cheque, account payee bank draft, or electronic clearing through a bank account; amounts paid otherwise will be disallowed as deductions or deemed to be profits and gains of business or profession. Consequential changes to related sub provisions are also proposed, effective 1 April 2018 for the relevant assessment year.

    TMI Notes

    Back

    All TMI Notes

    Showing Results for :
    Reset Filters
      No Records Found

      TMI Notes

      Back

      All TMI Notes

      whatsappJoin Channel
      Showing Results for : Reset Filters

      Computation of Turnover for the purpose of tax audit u/s 44AB - Speculation Business or Derivatives, futures, and options or Delivery based transactions

      2 June, 2023

      Contents
      Acts
      Plus +
      Summary
      Note

      Note

      -

      Bookmark

      Print

      Print

      Manual - Audit of accounts of certain persons [Tax Audit]

      Section 44AB - Audit of accounts of certain persons carrying on business or profession

      Income-tax Act, 1961

      Determination of Turnover of the Business activities from Speculation transaction or Derivatives, futures, and options or Delivery based transactions always remains in the helm of affairs and debatable.

      In this article, an attempt is being made by the TMI to analyze the provisions as per the Income Tax Act, 1961 alongwith the Guidance Note issued by the ICAI

      Speculation Business

      It means a transaction in which a contract for the purchase or sale of any commodity including stocks and shares, is periodically or ultimately settled otherwise than by the actual delivery or transfer of the commodity or scrips. Thus, in a speculative transaction, the contract for sale or purchase which is entered into is not completed by giving or receiving delivery so, as to result in the sale as per value of contract note. In the case of an assessee undertaking speculative transactions there can be both positive and negative differences arising by settlement of various such contracts during the year.

      In such transactions though the contract notes are issued for full value of the purchased or sold asset, the entries in the books of account are made only for the differences.

      Derivatives, futures, and options:

      Such transactions are completed without actual delivery of shares or securities or commodities etc. These are squared up by receipts/payments of differences. The contract notes are issued for the full value of the underlined shares or securities or commodities etc. purchased or sold but entries in the books of account are made only for the differences. The transactions may be squared up any time on or before the striking date. The buyer of the option pays the premia. The turnover in such types of transactions is to be determined as follows:

      1. The total of favourable and unfavourable differences shall be taken as turnover.
      2. Premium received on sale of options is also to be included in turnover. However, where the premium received is included for determining net profit for transactions, the same should not be separately included.
      3. In respect of any reverse trades entered, the difference thereon, should also form part of the turnover.

      Delivery based transactions:

      Where the transaction for the purchase or sale of any commodity including stocks and shares is delivery based whether intended or by default, the total value of the sales is to be considered as turnover.

      How to calculate Turnover/Gross Receipts of Shares, Securities & Derivatives;-

      Speculative transaction

      Derivatives, futures and options

      Turnover = Aggregate of Positives & Negatives, the difference amount will be the ‘Turnover’

      Turnover = Total of Favorable & Unfavorable differences shall be taken as Absolute Turnover.

      Premium, if received in case of Options shall also form part of turnover

       

      Example 1 - For Speculative Business

      Transactions

      Qty

      Buy

      Sell

      Realized

      Turnover

      A

                        58

                           9,52,850

                        9,59,435

                    6,585

                    6,585

      B

                  4,205

                        85,96,345

                      86,55,295

                  58,950

                  58,950

      C

                  3,850

                           3,59,864

                        3,51,614

                   -8,250

                   -8,250

      D

                  2,605

                           5,86,934

                        5,78,365

                   -8,569

                   -8,569

      E

                      800

                           5,98,756

                        5,98,506

                      -250

                      -250

      F

                  7,566

                           8,05,659

                        8,09,659

                    4,000

                    4,000

      G

                  8,995

                        50,06,895

                      50,12,764

                    5,869

                    5,869

      Total

                     1,69,07,303

                  1,69,65,638

                  58,335

                  58,335

       

      Aggregate of Positive & Negative shall form part of turnover i.e., Turnover = ₹58,335

      Example 2 - For Derivatives & Futures

      Transactions

      Qty

      Buy

      Sell

      Realized

      Turnover

      A

                        58

                           9,52,850

                        9,59,435

                    6,585

                    6,585

      B

                  4,205

                        85,96,345

                      86,55,295

                  58,950

                  58,950

      C

                  3,850

                           3,59,864

                        3,51,614

                   -8,250

                    8,250

      D

                  2,605

                           5,86,934

                        5,78,365

                   -8,569

                    8,569

      E

                      800

                           5,98,756

                        5,98,506

                      -250

                        250

      F

                  7,566

                           8,05,659

                        8,09,659

                    4,000

                    4,000

      G

                  8,995

                        50,06,895

                      50,12,764

                    5,869

                    5,869

      Total

                     1,69,07,303

                  1,69,65,638

                  58,335

                  92,473

      Sum of Net Profit

                                                                                    75,404

      Sum of Net Loss

                                                                                    17,069

      Absolute Profit

                                                                                    92,473

       

      Turnover = Absolute profit i.e., Turnover = ₹ 92,473

      For Intraday the same example 2 will be applicable.

      In case of Option, if premium is there then such premium is to add in Absolute Turnover
      For example

      Name of Share

      Nature of transaction

      Lot purchased

      Buy Value

      Sales Value (Premium received on Sale)

      Gain / (Loss)

      Turnover as per GN 2022

      Turnover as per GN 2014

       

       

      Sun Limited

      Call Option

      4*1000 =4,000

      60,000

      80,000

      20,000

       

      20,000

       

      80,000 + 20,000 = 100,000

       

       

      Star Limited

      Put Option

      1*1500= 500

      30,000

      25,000

      -5,000

      5,000

      25,000+ 5,000 = 30,000

       

       
        

      Moon Limited

      Call Option (Not squared off)

      1* 1000 = 1,000

      70,000

      70,000

      70,000

        
        

      Total

      95,000

      2,00,000

        

      An Opinion - Above mentioned example, as per our understand, is being followed by the professionals in the field. Though there’s different practices are there. Due to complications/confusion in point no. 2 - “Premium received on sale of options is also to be included in turnover. However, where the premium received is included for determining net profit for transactions, the same should not be separately included” regarding treatment of premium received. - Since the end result as per option (i) and (ii) will remain same. 

       


      Full Text:

      Section 44AB - Audit of accounts of certain persons carrying on business or profession

      Income-tax Act, 1961

      Manual - Audit of accounts of certain persons [Tax Audit]

      Manual - Meaning of term "Speculative Transaction"

      Manual - Losses in Speculation Business - Section 73

      Topics

      ActsIncome Tax