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Category: Corporate Tax

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  • Corporate Tax

AO not to raise direct demand against an assessee wherein TDS credit mismatch arises due to default of deductor: CBDT

Tenet Tax Daily July 09 2015

Posted onon July 22, 2015July 22, 2015
  • Corporate Tax

Stringent action to be taken only in cases involving huge evasion of tax – CBDT’s clarification on Central Action Plan

Tenet Tax Daily July 08 2015

Posted onon July 22, 2015
  • Corporate Tax

CBDT calls for speedy disposal of rectification applications

Tenet Tax Daily July 07 2015

Posted onon July 22, 2015
  • Corporate Tax
  • International Tax

ITAT rejects comparables as they were inappropriate due to diverse activities, brand value and economy of scales

Tenet Tax Daily July 06 2015

Posted onon July 22, 2015
  • Corporate Tax
  • International Tax

In view of amendment made to section 10A by Finance Act, 2000 with effect from 1-4-2001, assessee was entitled to get credit of tax deducted at Japan in respect of income exempt in India by virtue of para (2a) of article 23 of India-Japan DTAA

Tenet Tax Daily July 04 2015

Posted onon July 22, 2015
  • Corporate Tax
  • International Tax

No denial of DTAA benefit to owner of ship just because charterer of ship was liable to tax under business agreement

Tenet Tax Daily July 03 2015

Posted onon July 22, 2015
  • Corporate Tax
  • International Tax

Company deriving revenue from medical transcription and consultancy services not comparable with ITES provider

Tenet Tax Daily July 02 2015

Posted onon July 2, 2015
  • Corporate Tax
  • International Tax

Assessee selling manufactured goods to both AEs and third parties and paying royalty for using know-how of foreign holding company could not be held as contract manufacturer – royalty payment allowed

Tenet Tax Daily July 01 2015

Posted onon July 2, 2015
  • Corporate Tax
  • International Tax

Income of foreign company from hiring of equipments and rendering services to entities engaged in oil exploration in India to be taxed under section 44BB

Tenet Tax Daily June 30 2015

Posted onon June 30, 2015
  • Corporate Tax
  • International Tax

Issue of shares by assessee at premium to its Mauritius AE did not give rise to income from an international transaction

Tenet Tax Daily June 29 2015

Posted onon June 30, 2015
  • Corporate Tax

Sec. 10A relief denied on software development units on failure of assessee to prove that they were independent units

Tenet Tax Daily June 27 2015

Posted onon June 30, 2015
  • Corporate Tax

CIT(A) has inherent power to grant stay on demand if appeal is pending before him, says ITAT

Tenet Tax Daily June 25 2015

Posted onon June 26, 2015
  • Corporate Tax

Assessing Officer could not arbitrarily reject assessee’s claim for depreciation on purchase of windmills taking a view that cost of said windmills had been inflated

Tenet Tax Daily June 24 2015

Posted onon June 26, 2015
  • Corporate Tax

Where in the assessment made under section 143(3) assessee had brought entire relevant evidence on record, Assessing Officer could not initiate reassessment proceedings merely on basis of change of opinion

Tenet Tax Daily June 23 2015

Posted onon June 23, 2015
  • Corporate Tax

Waiver of loan by bank as one time settlement did not result in revenue receipt which could be brought to tax under section 28(iv)

Tenet Tax Daily June 22 2015

Posted onon June 23, 2015
  • Corporate Tax
  • International Tax

Remittance of funds by NR to India out of incomes accrued outside India aren’t taxable in India

Tenet Tax Daily June 20 2015

Posted onon June 19, 2015
  • Corporate Tax

Assessee engaged in production and export of textiles installed one windmill for a separate business of generation of power would be eligible for additional depreciation on windmill under section 32(1)(iia)

Tenet Tax Daily June 19 2015

Posted onon June 19, 2015
  • Corporate Tax
  • International Tax

Payments made to foreign parties for monitoring and supervision of discharged cargo was not taxable in India as fee for technical services – retrospective amendment brought to section 9(1)(vii) by Finance Act, 2010 was not in existence at time when payments were made

Tenet Tax Daily June 18 2015

Posted onon June 19, 2015

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