The Supreme Court examined the scope and ambit of assessment
under Section 153A of the Income Tax Act, 1961, and considered whether, in
respect of completed or unabated assessments, the Assessing Officer is
empowered ...
The Supreme Court examined whether determinations of arm’s
length price made by the Income Tax Appellate Tribunal in transfer pricing
matters attain finality and are immune from scrutiny by the High Court under
Sect...
The Supreme Court considered whether profits earned by an
assessee from the Duty Entitlement Pass Book (DEPB) Scheme and the Duty
Drawback Scheme qualify for deduction under Section 80-IB of the Income Tax
Act, 1961, ...
The Supreme Court examined whether an assessee who has
deducted tax at source but remitted the same belatedly is liable to penalty
under Section 271C of the Income Tax Act, 1961. The appeals arose from
judgments of th...
The Supreme Court, while dismissing the appeals filed
by the Revenue, held that dividend income earned by the assessee, an Indian
resident, from its joint venture in Oman, though exempt from taxation under
Article 8(b...
The
Supreme Court of India in Kotak Mahindra Bank Ltd. v. Commissioner of Income
Tax, Bangalore (2023 INSC 855) examined the scope of judicial interference
with orders passed by the Income Tax Settlement Commission gr...
The
Supreme Court of India in Commissioner of Income Tax v. Jasjit Singh
(2023 INSC 882) examined the correct interpretation of Sections 153A and 153C
of the Income Tax Act, 1961, particularly concerning the starting ...
The
Supreme Court held that although the assessee society had historically been
treated as a charitable institution and granted exemption under the Income Tax
Act, the question of its continued eligibility for exempti...
The
Supreme Court held that the appellants, being non-banking finance and
hire-purchase companies, were not liable to pay interest tax under the
Interest-Tax Act, 1974 on the interest component embedded in hire-purcha...
The
Supreme Court held that interest under Section 158BFA(1) of the Income Tax Act
is leviable for delay in filing the return of income for the block period
pursuant to notice issued under Section 158BD, even where no...