Section 87A Rebate on STCG under New Tax Regime: ITAT Allows Rebate under Section 115BAC(1A) – Jayshreeben Jayantibhai Palsana v. ITO

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14/01/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 213
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The Income Tax Appellate Tribunal, Ahmedabad (SMC Bench), in Jayshreeben Jayantibhai Palsana v. Income-tax Officer (ITA No. 1014/Ahd/2025), examined the eligibility of a resident individual assessee to claim rebate und...

Change in Method of Revenue Recognition under AS-7 – Mere Timing Difference Not Taxable: ITAT Delhi in Halcrow Group Ltd v. DCIT

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14/01/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 177
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The assessee, M/s Halcrow Group Ltd, a company incorporated in the United Kingdom, is engaged in providing planning, design, and management services for infrastructure projects worldwide. For the Assessment Year 2013-...

Section 54F Exemption Cannot Be Denied on Technical Grounds: ITAT Hyderabad Upholds Liberal Interpretation – ITO v. Narasimha Reddy Duthala

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14/01/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 177
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The Income Tax Appellate Tribunal, Hyderabad Bench, in Income-tax Officer v. Narasimha Reddy Duthala (ITA No. 1113/Hyd/2024), examined the allowability of exemption under Section 54F of the Income-tax Act, 1961, in re...

Cancellation of Section 12A Registration Without Proper Show Cause is Invalid – ITAT Mumbai in NICMAR vs DCIT (Exemptions)

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14/01/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 205
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The assessee, a charitable trust engaged in imparting education in the field of construction management and research, was granted registration under Section 12A of the Income Tax Act. Subsequently, based on a referenc...

Hotel Premises Constitute Fixed Place Permanent Establishment under Indo–UAE DTAA: Supreme Court Upholds Taxability – Hyatt International Southwest Asia Ltd. v. ADIT

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14/01/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 233
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The Supreme Court of India, in Hyatt International Southwest Asia Ltd. v. Additional Director of Income-tax (Civil Appeal Nos. 9766–9773 of 2025), examined whether the appellant, a company incorporated in Dubai and ...

Reassessment Quashed for Mechanical Approval under Section 148: ITAT Delhi in Singhal Fasteners Co. Pvt. Ltd. v. ITO (AY 2006-07)

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14/01/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 241
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The Income Tax Appellate Tribunal, Delhi Bench, in M/s Singhal Fasteners Company Pvt. Ltd. v. ITO (ITA No. 1992/Del/2020, AY 2006-07), held that reassessment proceedings initiated under Sections 147/148 of the Income ...

Interest on Borrowed Funds Allowable Despite Interest-Free Advances to Farmers: Business Expediency Explained – Girraj Cold Storage (P.) Ltd. v. ITO

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14/01/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 204
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The Income Tax Appellate Tribunal, Agra (SMC Bench), in Girraj Cold Storage (P.) Ltd. v. Income-tax Officer (ITA No. 125/Agr/2022), examined the allowability of interest expenditure under Section 36(1)(iii) of the Inc...

CIT(A) Cannot Dismiss Appeal for Non-Prosecution and Must Decide on Merits: ITAT Mumbai in Sangeeta Motilal Shahani v. ITO

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14/01/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 261
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The Mumbai Bench of the Income Tax Appellate Tribunal examined the legality of an ex-parte order passed by the Commissioner of Income Tax (Appeals) dismissing the assessee’s appeal for non-prosecution, without adjud...

Taxation of Category III AIF Trusts under Section 164: Delhi High Court Ruling in Equity Intelligence AIF Trust v. CBDT

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14/01/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 325
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The Delhi High Court, in Equity Intelligence AIF Trust v. Central Board of Direct Taxes & Anr. (W.P.(C) 9972/2024), examined the validity of CBDT Circular No.13/2014 dated 28.07.2014 and the consequential order passe...

Conversion of Partnership Firm into Proprietorship and Alleged Capital Gains under Section 45(4): ITAT Delhi Remands Matter in ITO vs. Mahabir Solvent Oil Mills

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14/01/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 253
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The appeal was filed by the Revenue against the order passed by the Commissioner of Income Tax (Appeals), Karnal, for Assessment Year 2008-09, arising from reassessment proceedings completed under section 143(3) read ...