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The case involves an appeal by the assessee against the assessment order dated 19-09-2012, framed by the AO pursuant to DRP directions u/s 144C, pertaining to assessment year 2007-08. The main dispute in the present appeal is with regard to the sele…
Login to write your newsThe High Court of Delhi dismissed an appeal brought under Section 260A of the Income Tax Act, challenging the rejection of certain comparables for the determination of Arms Length Price (ALP) in the context of international transactions. The court u…
Login to write your newsThe Income Tax Appellate Tribunal “K” Bench, Mumbai heard the appeal filed by the Revenue against the assessment order for the assessment year 2011-12. The appeal was directed against the assessment order dated 29-12-2015 passed by the Assessing Off…
Login to write your newsThe case involves a transfer pricing dispute related to the determination of the Arm’s Length Price (ALP) of international transactions undertaken by the assessee, a wholly owned subsidiary engaged in trading of Currency Verification and Processing …
Login to write your newsThe case involves the disallowance of the claim of deduction under Section 10B of the Income Tax Act by the Assessing Officer, who believed that the switch over of the assessee was done with a specific motive to claim excess deduction and avoid paym…
Login to write your newsAOL Online India Pvt Ltd was into software development/ call centre services to its AE. TPO after TP study, proposed adjustment. DRP rejected assessee's contentions. AO made TP adjustment and adjustment of deduction u/s 10A. ITAT deleted some compa…
Login to write your newsThe present appeal was filed by the assessee, Pyramid IT Consulting P Ltd., against the order passed by the Ld.ACIT, Circle 20 (1), Delhi for assessment year 2010-11. The appeal raised various grounds including the challenge to the assessment order,…
Login to write your newsThis is an appeal filed by Bertelsmann Marketing Services India Private Limited against the order of the Deputy Commissioner Of Income Tax, Circle 4(2), New Delhi, dated 9/10/2015, determining the total income of the assessee at Rs Nil against the r…
Login to write your newsAssessee offering online financial serviecs to its AEs in the US. TPO selected 24 companies to benchmark international transactions. DRP confirmed the order and directed to select only 12 companies. ITAT held that functinal profile is a major criter…
Login to write your newsIn 2013, the Hon’ble Income Tax Appellate Tribunal (ITAT) Pune delivered pivotal decisions that significantly influenced the landscape of transfer pricing. These rulings, spanning cases related to expense allocation, custom duty adjustments, working…
Login to write your newsThe case ITA 201/2018 involves an appeal under Section 260A of the Income Tax Act, 1961, where the Appellant (Revenue) challenges the exclusion of four comparables introduced by the Transfer Pricing Officer (TPO) for benchmarking the international t…
Login to write your newsThe case involves an appeal filed by Maximize Learning Private Limited against the order of the Assistant Commissioner of Income Tax, Circle 11(2), Pune, related to the assessment year 2009-10. The dispute revolves around the determination of the ar…
Login to write your newsThe appeal by BNY Mellon International Operations (India) Private Limited pertains to the assessment year 2009-10 and is directed against the order of the Dy. Commissioner of Income Tax, Circle 1(1), Pune. The dispute revolves around the adjustment amounting to INR 9,56,21,498 to the value of international transactions entered into by the appellant with its associated enterprise with respect to export of transaction processing services. The appella…
The appeal by Symantec Software India Private Limited arises from the directions of the Ld. Dispute Resolution Panel (DRP) dated 30.07.2018 for the assessment year 2014-15. The key issue in this case is the exclusion of certain companies as comparables for benchmarking its international transactions.
The case involves Syngenta Services Private Limited appealing against the assessment order dated 08/06/2022 passed under section 143(3) r.w.s. 144C(13) of the Income Tax Act, 1961. The appeal primarily focuses on the inclusion/exclusion of comparable companies for benchmarking international transactions with its Associated Enterprises (AEs) using the Transactional Net Margin Method (TNMM). The Tribunal considered the functional disparity, extraordi…
Vocational education in Canada offers a pathway for interested students to pursue graduate certificates, diplomas, and advanced diplomas with integrated co-op programs. With a focus on practical knowledge and industry-oriented training, vocational education in Canada has gained popularity among international students. The constitutional responsibility of post-secondary education lies with the provinces and territories, and the country has seen a su…
The High Court of Patna, in the case of Bihar Institute of Mining & Mine Surveying v. Commissioner of Income-tax, ruled that running a private coaching institute for training students does not qualify as a charitable institution under the Income-tax Act, 1961. The petitioner, a society registered under the Societies Registration Act, had applied for registration under section 12A of the Income-tax Act, which was rejected by the Commissioner. The pe…
The Council of the Institute has released revised NOC guidelines for the training of Company Secretaries in India, aiming to enhance transparency and efficiency in the training process. These guidelines cover aspects such as training registration, probation period, transfers, notice periods, exceptional cases for transfer, method of intimation, limits on transfers, and effective date.
Co. Law, Sebi, Audit & A/c,Mar. 27, 2024As an international student, it is crucial to work towards improving your employability throughout your academic journey. This article provides insights into the best strategies for international students to enhance their employability while studying abroad. It covers various aspects such as internships, leveraging university career resources, networking, developing transferable skills, crafting compelling CVs and portfolios, and cross-cultural com…
The appeal is directed against the impugned order dated 30.04.2012 passed by the Commissioner of Central Excise and Service Tax, Chandigarh, confirming the demand of service tax of Rs. 2,30,78,277/- under Section 73(1) of the Finance Act, along with interest under Section 75 of the Finance Act and also imposing equal penalty under Section 78 of the Finance Act. The Commissioner also imposed a penalty of Rs. 5000/- under Section 77 of the Finance Ac…
The article delves into the SAS 1400 program, its social audit process, key metrics, and impact assessment. It aims to empower disadvantaged communities by providing them with access to land and property assets, timely financial assistance, and cost-effective financing options. The SAS 1400 program is designed to facilitate access to land and property assets for underserved groups, enabling them to improve their economic and social conditions.
The case involves M/S Educational Initiatives Pvt. Ltd. challenging the order passed by the Gujarat Appellate Authority for Advance Ruling, which held that the services provided by the company to schools, in relation to the conduct of the ASSET examination, are not exempt from the Goods and Services Tax (GST). The company sought a declaration that the services provided by it to schools/educational organizations in relation to the ASSET examination …
Goods & Services Tax,May. 18, 2022Check your phone. I have messaged an OTP. It is a 6 digit number. Feed it in the box below
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