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Steel Authority of India Ltd. vs. Commissioner of Income Tax: Reduction of "Actual Cost" under Section 43(1) upon Capital Loan Waiver

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My Tax Expert
30/05/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 74
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Facts of the Case The Assessee: Steel Authority of India Ltd. (SAIL) is a public sector undertaking engaged in the manufacture, sale, and export of iron and steel. Financial Assistance: Over ...

Reduction of Asset Cost via Government Loan Waivers Under Section 43(1) and Section 32: Steel Authority of India Ltd. v. Commissioner of Income Tax

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My Tax Expert
30/05/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 77
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Facts of the Case The appellant, Steel Authority of India Ltd. (SAIL), is a public sector undertaking engaged in the manufacture, sale, and export of iron and steel. It operates several steel plants a...

Steel Authority of India Ltd. vs. Commissioner of Income Tax: Impact of Government Loan Waiver on Computation of "Actual Cost" and Depreciation under Section 43(1) of Income Tax Act

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My Tax Expert
30/05/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 57
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Facts of the Case The Appellant, Steel Authority of India Ltd. (SAIL), is a public sector undertaking engaged in the manufacturing and sale of iron and steel. To meet its requirements, the Governme...

Steel Authority of India Ltd. vs. Commissioner of Income Tax: Impact of Government Loan Waiver on Computation of "Actual Cost" and Depreciation under Section 43(1) of Income Tax Act

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My Tax Expert
30/05/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 75
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Facts of the Case The Appellant, Steel Authority of India Ltd. (SAIL), is a public sector undertaking engaged in the manufacturing and sale of iron and steel. To meet its requirements, the Governme...

The Commissioner of Income Tax-II vs. Jai Parabolic Spring Ltd. (In light of Areva T&D India Ltd. vs. DCIT): Whether Depreciation Under Section 32(1)(ii) of the Income Tax Act, 1961 is Allowable on Intangible Assets, Goodwill, and Commercial Business Rights Acquired via Slump Sale Agreement

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My Tax Expert
30/05/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 66
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  Facts of the Case The Assessee (Jai Parabolic Spring Ltd.) engaged in a business transition, claiming expenditures and dealing with rights arising from business transfers. In ...

Commissioner of Income Tax vs. M/s Auto Pins India Ltd. Delhi High Court Clarifies the Law on Write-Off of Accumulated Bad Debts Under Section 36(1)(vii) vs. Revenue's Argument of Single-Year Income Distortion

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My Tax Expert
30/05/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 67
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 Facts of the Case Nature of Business: The respondent-assessee, M/s Auto Pins India Ltd., was actively engaged in the manufacture and sale of automobile parts. Income Return Filed: F...

National Cooperative Development Corporation vs. Assistant Commissioner of Income Tax: Scope of Income "Derived From" Long-Term Finance Business under Section 36(1)(viii) of the Income Tax Act, 1961

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My Tax Expert
30/05/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 87
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Facts of the Case The Appellant-Assessee, National Cooperative Development Corporation (NCDC), is a statutory corporation established under the National Cooperative Development Corporation Act, 1962, ...

Commissioner of Income Tax vs. Goodearth Foundation: Analysis of Retrospective Registration under Section 12A and Validity of Assessment Notices

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My Tax Expert
30/05/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 86
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Facts of the CaseThe Goodearth Foundation, a society formed in 1979, conducted charitable activities, including operating a school in Alwar. Historically, the society did not file income tax returns, while the school i...

Bharti Gupta Ramola vs. Commissioner of Income Tax: Computation of Holding Period for Capital Assets under Section 2(42A) of the Income Tax Act, 1961

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My Tax Expert
30/05/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 112
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Facts of the Case The appellant, Bharti Gupta Ramola, is an individual assessee who earned income from salary, sources, and capital gains through investments in mutual fund instruments and securities....

Commissioner of Income Tax vs. M/S Goel Jewellers: Judicial Determination on the Non-Inclusion of Undisclosed Income Surrendered During Survey under Section 133A within 'Business Profits' for Computing Export Deductions under Section 80HHC of the Income Tax Act, 1961

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30/05/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 98
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Facts of the Case Business Profile: The respondent-assessee, M/S Goel Jewellers, is a partnership firm engaged in the business of manufacturing and selling gold jewellery and diamonds both in India (d...