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NEWS FLASH
I-T – As per Explanation to Sec 144C(8), DRP is empowered to examine issues arising out of assessment proceedings even if such issues do not form part of variations proposed by AO: ITAT (See Breaking News)
I-T - FPI is free to choose as to how set off of short term capital loss has to be: ITAT (See Breaking News)
I-T - TDS is not applicable on commission payment to foreign agents who have rendered services outside India and whose income is not taxable in India: ITAT (See Breaking News)
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Mumbai, Dec 05, 2025 By TII News Service
I-T – As per Explanation to Sec 144C(8), DRP is empowered to examine issues arising out of assessment proceedings even if such issues do not fo...
Mumbai, Dec 05, 2025 By TII News Service
I-T - FPI is free to choose as to how set off of short term capital loss has to be: ITAT ...
Chandigarh, Dec 05, 2025 By TII News Service
I-T - TDS is not applicable on commission payment to foreign agents who have rendered services outside India and whose income is not taxable in I...
Mumbai, Dec 04, 2025 By TII News Service
TP - Depreciation on goodwill & amortisation of non-compete fees is to be excluded by treating it as non-operating cost, being extraordinary item...
New Delhi, Dec 04, 2025 By TII News Service
TP - If DRP issued directions, TPO has no power to resume jurisdiction and he can only pass effect order which in no case extends time limit for ...
New Delhi, Dec 03, 2025 By TII News Service
I-T - Amounts received by assessee for use of transponder of tele-communication service charges are not royalty: ITAT...
Mumbai, Dec 03, 2025 By TII News Service
I-T - Gains derived by Singapore-resident seller from sale of shares of Singapore-resident company are taxable only in Singapore, even if shares ...
New Delhi, Dec 02, 2025 By TII News Service
DTAA - Payments received by non-resident assessee for licensing standard software & connected incidental services to Indian customer is not royal...
Mumbai, Dec 02, 2025 By TII News Service
TP - Working capital adjustments are attempt to arrive at adjusted comparables as basis of determining their profit level indicators or comparabl...
Mumbai, Dec 01, 2025 By TII News Service
TP - If loan given to AE was non-performing asset, no adjustment can be made for notional interest if there is no possibility of recovering eithe...
Mumbai, Dec 01, 2025 By TII News Service
I-T - Once certain transaction is accepted at arm's length by TPO in earlier & later AYs, under an agreement unchanged for more than a decade, th...
New Delhi, Nov 28, 2025 By TII News Service
DTAA - Delivery Order Charges are directly connected to transportation of goods; fall within scope of Article 8 of India-Turkey DTAA - such charg...
New Delhi, Nov 28, 2025 By TII News Service
INTL - CSR contributions, though not allowable as business expenditure u/s 37(1), qualify for deduction u/s 80G if the prescribed conditions are ...
Mumbai, Nov 27, 2025 By TII News Service
TP - Ttransaction between assessee and AE is in foreign currency with regard to receivables, then transaction would have to be looked upon by app...
Mumbai, Nov 27, 2025 By TII News Service
TP - If CCDs issued are in nature of debt, then interest paid on same should be benchmarked as per applicable transfer pricing provision after ap...
Bengaluru, Nov 26, 2025 By TII News Service
TP - Capital financing between two AE should be benchmarked as loan transaction for noticeably brief period between two related parties where the...
New Delhi, Nov 26, 2025 By TII News Service
TP - Each international transaction must be separately evaluated u/s 92C; acceptance of benchmarking for basic market-research services does not ...
New Delhi, Nov 25, 2025 By TII News Service
TP - Income does not arise in India in respect of remittances received by non-resident, where such payment is for sale of software & telecom equi...
Mumbai, Nov 25, 2025 By TII News Service
DTAA - Network fee received from Indian group entities did not constitute fees for technical services or royalty either under I-T Act or relevant...
New Delhi, Nov 24, 2025 By TII News Service
TP - Time limit for passing order u/s 92CA(3A) is sixty days prior to date on which limitation referred in section 153 expires: ITAT...
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