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Category: Indirect Tax

July 14, 2021 / Company Law Compliances

CORPORATE AND PROFESSIONAL UPDATE ON DECEMBER 4, 2015

CORPORATE AND PROFESSIONAL UPDATE ON DECEMBER 4, 2015 Income–tax (11th Amendment) Rules, 2015 In exercise of the powers conferred by section 285BA read with section 295 of the Income-tax Act, 1961 (43 of 1961), the Central Government with respect to registration of persons, due diligence and maintenance of information, and the Board for matters relating …

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July 14, 2021 / Business Consultancy

CORPORATE AND PROFESSIONAL UPDATE ON DECEMBER 3, 2015

CORPORATE AND PROFESSIONAL UPDATE ON DECEMBER 3, 2015 DIRECT TAXES: Rejection of book results u/s 145 – estimating the income at 5 percent of gross receipts – no material was brought to establish that the purchases and expenses had been inflated or the sales had been suppressed and in the absence of any such material …

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July 10, 2021 / Foreign Exchange Management Act

SPECIFIC POLICY FOR SUPPLY CONTRACTS

SPECIFIC POLICY FOR SUPPLY CONTRACTS  The Standard Policy is a whole turnover policy designed to provide a continuing insurance for the regular flow of an exporter’s shipments for which credit period does not exceed 180 days. Contracts for export of capital goods or turnkey projects or construction works or rendering services abroad are not of …

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July 14, 2021 / CBDT

CORPORATE AND PROFESSIONAL UPDATE DECEMBER 1,2015

CORPORATE AND PROFESSIONAL UPDATE ON DECEMBER 1, 2015 1. INDIRECT TAXES A. Chairperson of CBDT, Anita Kapur completes her tenure, now appointed as advisor on Tax Reform. B. Transfer of land under JDA in lieu of flats held as conversion of capital asset into stock-in-trade [2015]  274 (Hyderabad – Trib.)  ACIT v. Medravathi Agro Farms …

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July 14, 2021 / Audit

TAX UPDATES ON 20TH NOVEMBER 2015

* TAX UPDATES ON 20TH NOVEMBER 2015 INCOME TAX ACT SECTION 9 INCOME – DEEMED TO ACCRUE OR ARISE IN INDIA Interest : Where assessee issued FCCB to foreign investors and remitted interest to them, since said money was utilized for overseas business of assessee, no income could be said to have accrued or arisen in India in hands …

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July 14, 2021 / Company Law Compliances

TAX UPDATE NOV 19, 2015

TAX UPDATES SECTION 9 INCOME – DEEMED TO ACCRUE OR ARISE IN INDIA Permanent Establishment : In order to determine question as to whether assessee owing rig had PE in India, Tribunal rightly concluded that unless rig owned by assessee was actually used for a period of 120 days in India, it would not be sufficient …

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July 7, 2021 / INCOME TAX

INCOME TAX RETURN UPDATE NOV 18, 2015

UPDATES ON INCOME TAX RETURN RECEIPT SHOWN IN P&L A/C LIABLE TO MAT EVEN IF IT IS SHOWN AS CAPITAL RECEIPT IN NOTES TO ACCOUNT- IT : Remission of bank loan shown in P&L A/c shall not be excluded for computing book profits under section 115JB even if same was shown as capital receipt in …

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July 14, 2021 / Company Law Compliances

UPDATES ON SWACHH BHARAT CESS(SBC)

UPDATES ON SWACHH BHARAT CESS(SBC) LEVY OF SWACHH BHARAT CESS IN CASES WHERE ALTERNATIVE RATES ARE APPLICABLE AND CLARIFICATION ON SWACHH BHARAT CESS (SBC)” Service tax is presently levied at alternative rates in respect of service provided by air travel agents, life insurance service, service in relation to sale/purchase of foreign exchange including money changing and …

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July 14, 2021 / Company Law Compliances

INCOME TAX ACT UPDATE ON NOV 17, 2015

INCOME TAX ACT UPDATE ON NOV 17, 2015 INCOME TAX ACT SECTION 9 INCOME – DEEMED TO ACCRUE OR ARISE IN INDIA Liaison Office of foreign MNC established in India for sourcing goods for exports to its overseas customers as per their requirements will not be treated as PE under the DTAA merely because it …

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April 27, 2024 / Company Law Compliances

INCOME TAX UPDATE NOV 17, 2015

INCOME TAX UPDATE NOV 17, 2015 INCOME TAX ACT- Kind of ITR  SECTION 9 INCOME – DEEMED TO ACCRUE OR ARISE IN INDIA Royalty/Fees for technical services : Where assessee-company engaged a company registered in USA, for review of design of cranes but it could not be discerned from records whether suggestions given by U.S. company would …

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