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Year: 2020

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  • 2020
  • Page 3
  • Corporate Tax

Refund payable to assessee cannot be withheld on ground of technical difficulty of system

Tenet Tax Daily February 05 2020

Posted onon February 5, 2020
  • Corporate Tax

Interest on loans taken for acquiring controlling interest in a company is an allowable expenditure

Tenet Tax Daily February 04 2020

Posted onon February 4, 2020
  • Corporate Tax

Assessee becoming resident as per FEMA not entitled to exemption under section 10(4)

Tenet Tax Daily February 03 2020

Posted onon February 3, 2020
  • Corporate Tax

Budget Highlights – 2020

Tenet News Flash – Budget 2020 – Feb 01, 2020

Posted onon February 2, 2020
  • International Tax

Loans given by assessee to its AE to be determined on basis of rate of interest being charged in country where loan was received/consumed

Tenet Tax Daily February 01 2020

Posted onon February 1, 2020
  • International Tax

Foreign AE cannot be regarded as tested party for ALP determination of transactions between assessee and its AE

Tenet Tax Daily January 31 2020

Posted onon January 31, 2020
  • Corporate Tax

Additions deleted upon examination of facts in support of credit in bank a/c – ITAT

Tenet Tax Daily January 30 2020

Posted onon January 30, 2020
  • Individual Taxation

LIBOR to be adopted while computing ALP

Tenet Tax Daily January 29 2020

Posted onon January 29, 2020
  • International Tax

Data management services provider comparable to investment advisory services provider

Tenet Tax Daily January 28 2020

Posted onon January 28, 2020
  • International Tax

Based on FAR analysis where it is determined that foreign AE is a non-complex entity, it could be taken as tested party for benchmarking purposes

Tenet Tax Daily January 27 2020

Posted onon January 27, 2020
  • International Tax

CUP method not applicable where assessee made purchases from AEs and non-AEs with huge difference in quantities and price

Tenet Tax Daily January 25 2020

Posted onon January 25, 2020
  • Corporate Tax
  • International Tax

Mere issuance of a show-cause notice cannot be equated and treated as a draft assessment order as same would make provisions of section 144C redundant

Tenet Tax Daily January 24 2020

Posted onon January 25, 2020
  • International Tax

Only international transactions entered by assessee with its AE can be subjected to adjustment

Tenet Tax Daily January 23 2020

Posted onon January 25, 2020
  • Corporate Tax

Where HC stayed the final assessment order, continuation of reassessment proceedings held valid

Tenet Tax Daily January 22 2020

Posted onon January 23, 2020
  • Corporate Tax
  • International Tax

Order passed by AO without following DRP directions held null and void and hence was to be quashed

Tenet Tax Daily January 21 2020

Posted onon January 23, 2020
  • International Tax

Payment to assessee providing services under management support agreement held as reimbursement of cost and not royalty following earlier assessment orders

Tenet Tax Daily January 20 2020

Posted onon January 22, 2020
  • International Tax

Payments to NR towards distribution of units of Mutual Funds or shares abroad did not made available any technical knowledge or skill and hence not “royalty”

Tenet Tax Daily January 18 2020

Posted onon January 22, 2020
  • International Tax

Absolute owner of Compulsorily Convertible Debentures (CCDs) receiving interest income would be entitled to beneficial provisions of article 11 of DTAA between India and Cyprus

Tenet Tax Daily January 17 2020

Posted onon January 22, 2020

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