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Manuals Income Tax
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Life insurance exemption under section 10(10D) lists categories where policy receipts are fully tax-exempt from income tax.
Exemption under Section 10(10D) covers amounts received on life insurance policies in defined categories: proceeds on insurance of a dependent handicapped person, proceeds under key man policies, and proceeds where annual premiums exceed specified proportions of the actual capital sum assured for policies issued in particular periods; proceeds under the premium ratio exceptions are stated to be fully exempt if received on the death of the person.
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Exemption for professional institutions under section 10(23A) requires Central Government approval and exclusive application of income to objects.
Exemption under section 10(23A) requires that an institution apply its income, or accumulate it for application, solely to the objects for which it is established, and that the institution be approved by the Central Government; both conditions are cumulative for claiming the exemption.
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Exemption for research association income requires exclusive application to objects and permitted investments with corpus exceptions.
Exemption requires that the research association apply its income, or accumulate it, wholly and exclusively to its objects, and that funds not be invested or deposited during the previous year except in forms permitted for trusts; exceptions to the investment restriction include assets forming part of the corpus, accretions to shares forming the corpus, and voluntary contributions maintained in kind such as jewellery or furniture.
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Letting of former ruler's palace results in taxable income under section 10(19A), not eligible for exemption.
If any palace or portion occupied by a former ruler is let out, the rent or annual value of that let-out portion is not exempt and is taxable rather than eligible for the exemption applicable to former rulers.
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Family pension exemption shields dependents of government servants or decorated servicemen from taxable income under income tax law.
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Share of profit exemption: interest on capital and partner remuneration are not covered under the provision.
The exemption is confined to a partner's share of profit from the firm or LLP and does not extend to interest on capital or to remuneration paid to the partner; such receipts must therefore be treated separately from the profit-share exemption.
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Exemption for HUF distributions may not apply where clubbing rules apply, affecting taxability of co parcener receipts.
Amounts received by an individual co parcener from the HUF are exempt in the hands of the assessee under the general exemption for such receipts, subject to the overriding provision dealing with clubbing or attribution of income which can limit that exemption.
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Accounting policy change requires reasonable cause and substance-over-form treatment to reflect a true and fair view.
Accounting policies must present a true and fair view of the state of affairs and income; treatment and presentation must follow substance over legal form; an accounting policy shall not be changed without reasonable cause, and any change must serve faithful representation for income computation and disclosure.
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Accrual versus accounting method: accrual-based charge under residency provisions overrides cash-basis bookkeeping for taxing income.
Where income has become taxable under the substantive provision governing non-resident receipts, that charging provision prevails over a taxpayer's cash-basis accounting; Section 145 is a machinery provision to effectuate the charge and cannot be used to defeat or nullify the substantive charge so as to allow taxable income to escape tax.
Manuals Income Tax
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Accrual of income: recognition occurs when a vested right and debtor liability arise, not necessarily on actual receipt.
ICDS I explains that accrual of income arises when a vested right to receive payment emerges and a corresponding liability is created on the other party; postponement or non-receipt does not prevent accrual, though non-receipt may justify separate deductions or claims. Accrual and arisal denote an inchoate right prior to actual receipt, while receipt denotes physical collection, and for tax accounting the existence of the right and the debtor's liability are the operative tests for accrual-based recognition.
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Deduction for bad debts allowed where income recognised under ICDS but not recorded in accounts is later irrecoverable.
Where a debt included in income on the basis of Income Computation and Disclosure Standards but not recorded in the accounts becomes irrecoverable, Finance Act, 2016 permits the debt (or part) to be allowed as a deduction in the year it becomes irrecoverable and deems that the debt has been written off in the accounts for the purposes of the deduction.
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Applicability of ICDS: timing of TDS entries determines whether expenditure is disallowable under TDS disallowance provisions.
ICDS apply only to computation of income under Profit & gains from business or profession and Income from Other Sources. For Sections 40(a)(i) and 40(a)(ia), disallowance depends on whether tax was deductible and whether an entry creating that liability or deduction existed in the year expenditure was claimed; absence of such an entry negates disallowance, while prior-year deduction of tax prevents disallowance in the year of allowance.
Manuals Income Tax
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ICDS exclusion from TDS timing: TDS deduction timing and taxable expenditure follow book credit or payment date.
ICDS does not affect TDS mechanics: the time for TDS (date of credit in books or date of payment) and the expenditure amount subject to deduction are determined by the books of account or payment date, not by ICDS computation of allowable expenditure.
Manuals Income Tax
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ICDS compliance: prepare ICDS-based financials and reconciliations to ensure taxable income computation aligns with disclosure standards.
Differences between accounting under ICDS and other accounting frameworks can materially affect taxable income and subsequent years' computations; taxpayers should quantify divergences and account for consequential tax adjustments. Practically, maintain parallel ICDS-based profit and loss and balance sheet statements and prepare a detailed reconciliation with primary accounting records to ensure all ICDS adjustments are considered. Auditors must certify that computation of total income complies with ICDS, making transparent documentation of adjustments and reconciliations necessary for audit certification and tax compliance.
Notifications GST
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Reverse charge on legal services broadened to include advisory and representational work under GST notifications.
Corrigenda amend reverse-charge entries to treat "services provided by an individual advocate including a senior advocate or firm of advocates by way of legal services, directly or indirectly," as taxable, and add an Explanation that "legal service" includes advice, consultancy, assistance in any branch of law and representational services, thereby broadening the scope beyond representational services before courts, tribunals or authorities.
Case Laws VAT / Sales Tax
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Reversal of input tax credit: sale of exempt by products triggers reversal under VAT/GST credit rules.
Reversal of input tax credit is triggered by the sale of goods produced incidentally during manufacture, not by their status as by products. The statutory credit regime aims to prevent double taxation by granting input credit for inputs used in manufacture, but the legislature determines the extent and conditions of credit. A provision that uses the terms 'goods' and 'sale' does not distinguish by products from final products, so where the incidental output is marketable and sold for consideration, reversal rules apply.
Case Laws Income Tax
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Capital gain valuation under section 50C on transfer of contractual rights challenged as inappropriate and commercially onerous.
Application of section 50C to a transfer of rights under a power of attorney, where no possession or control of the immovable property passed and no stamp authority value was adopted, was contested; the assessing officer's adoption of an enhanced valuation for computing short term capital gains was regarded as inappropriate and characterised as harassment, and that addition was reversed on appeal.
Manuals Income Tax
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Accounting policy change disclosure required when future material effect is expected; disclose at adoption and when it first becomes material.
Change in accounting policies that has no material effect in the current previous year but is reasonably expected to have material effect later must be disclosed: (a) in the previous year in which the change is adopted; and (b) in the previous year in which the change has material effect for the first time.
Manuals Income Tax
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Change in accounting policy: permitted only for reasonable cause and where AS 5 requires it or improves financial presentation.
A change in accounting policy will be treated as reasonable if it meets the criterion established by AS 5: the change is permissible only where it is required by statute, necessary for compliance with an accounting standard, or results in a more appropriate presentation of the enterprise's financial statements.

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Navigating Shareholder Rights in Corporate Insolvency: An Analysis of NCLAT’s Decision on the issue of Locus Standi

21 January, 2024

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Deciphering Legal Judgments: A Comprehensive Analysis of Case Law

Reported as:

2023 (6) TMI 1250 - NATIONAL COMPANY LAW APPELLATE TRIBUNAL , CHENNAI

Context and Background

This case, adjudicated by the National Company Law Appellate Tribunal (NCLAT), Chennai, revolves around complex matters of corporate insolvency under the Insolvency and Bankruptcy Code, 2016 (IBC). The primary contention involves challenges against the approved resolution plan and related procedural aspects under the IBC. The case highlights the intricate balance between the rights of various stakeholders in the insolvency process, particularly the rights of shareholders versus creditors, and the extent of judicial review in commercial decisions made by the Committee of Creditors (CoC).

Legal Issues and Tribunal’s Rationale

  1. Shareholder's Locus Standi in Resolution Plan: A significant legal issue addressed was whether a shareholder, in this case, Dr. Ravi Shankar Vedam, has the locus standi to challenge a resolution plan approved by the CoC. The NCLAT, referencing the IBC and pertinent judicial precedents, underscored that post-commencement of Corporate Insolvency Resolution Process (CIRP), the shareholders' rights are significantly curtailed. The Tribunal clarified that while shareholders can file claims in liquidation as stakeholders, their role in the CIRP is limited. They are not entitled to challenge the decisions of the CoC, which are predominantly commercial.

  2. Judicial Review of CoC’s Commercial Wisdom: Another critical aspect was the extent to which judicial review can be exercised over the CoC's decisions. The Tribunal emphasized that the commercial wisdom of the CoC is paramount and not subject to judicial intervention unless there is a material irregularity or violation of law. This principle aligns with the legislative intent of the IBC to streamline insolvency proceedings and accord significant autonomy to the CoC in decision-making.

  3. Validity and Approbation of the Resolution Plan: The Tribunal also delved into the legality and procedural propriety of the resolution plan approved by the CoC. The plan's approval was contested on various grounds, including alleged irregularities and the necessity of a forensic audit. The NCLAT held that the resolution plan was in compliance with the IBC and that the objections raised by the shareholder were not sustainable under the code's framework.

  4. Role of Shareholders in Insolvency Proceedings: The case intricately discusses the role and limitations of shareholders in the context of insolvency proceedings. It highlights that their participation is restricted and does not extend to influencing or challenging the CIRP’s course as determined by the CoC.

Implications and Significance

  • Reaffirmation of Creditor-Centric Approach: The judgment reaffirms the creditor-centric approach of the IBC, prioritizing the CoC's decisions in the CIRP.
  • Limited Judicial Review in Commercial Decisions: The case serves as a precedent for the limited scope of judicial review over the commercial decisions of the CoC, reinforcing the notion that courts should not interfere with the CoC’s business judgment unless it is contrary to the provisions of the IBC or other applicable laws.
  • Clarification on Shareholder Rights: The decision clarifies the position and rights of shareholders in the CIRP, highlighting that their engagement is significantly limited compared to creditors.

 


Full Text:

2023 (6) TMI 1250 - NATIONAL COMPANY LAW APPELLATE TRIBUNAL , CHENNAI

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Acts Income Tax