The Hon’ble HP HC in the case of Palam Gas Service Vs. CIT in ITA No. 9/2014 dated 25.06.2014 has held that provisions of 40(a)(ia) are applicable to amounts paid during the year as well as to amounts payable as at the close of the year. The Hon’ble High Court held as under : “Lastly,…

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HC allows assessee’s writ, quashes AO’s order u/s 201(1)/(1A) holding assessee as being in default for violating TDS provisions, being passed in breach of natural justice principles; Allows appeal remedy to assessee u/s 246A against AO’s order, since it was  passed without giving due opportunity to assessee to substantiate its defense; Observing that assessee was  saddled with…

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In AY 2003-04, the assessee entered into an agreement with Bhavya Constructions pursuant to which he agreed to transfer the land in consideration of the developer giving him four flats in the developed area. The assessee received a token advance and handed over possession of the land. The developer obtained the approval of the municipality…

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In AY 2005-06, the assessee, a share broker, entered into derivatives in which it suffered losses. The said losses constituted “speculation loss” (prior to the exclusion of derivatives from the ambit of speculative transactions under clause (d) of s. 43 (5) w.e.f. AY 2006-07). The assessee claimed that the said speculation loss was eligible to…

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The Hon’ble Allahabad High Court has answered an important question regarding the limitation period of assessment. In this case, the assessment proceedings were stayed by High Court. But lateron the stay was vacated since the assessee failed to bring on record the necessary legal heirs. The order of HC vacating the stay was passed on…

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No s. 14A & Rule 8D disallowance if there is no tax-free income In AY 2008-09, the assessee claimed that no s. 14A & Rule 8D disallowance could be made on the ground that (i) the assessee had not earned any tax-free income during the year and (ii) the assessee had sufficient surplus fund and…

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