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NEWS FLASH
DTAA - Gains from trading in stock derivatives fall under Article 13(4) of DTAA & are taxable only in country of residence, i.e., Mauritius, and not in India: ITAT (See Breaking News)
I-T - Non-obstante clause in section 144C(13) imposes restriction on AO and denies him benefit of more expansive time limit available under section 153: ITAT (See Breaking News)
I-T - AO's failure to test computation under Rule 8D demonstrates case of lack of inquiry, making deeming provisions of Explanation 2, clause (a) to Sec 263 applicable: ITAT (See Breaking News)
I-T - Provisions of Section 144C and Section 153 are mutually inclusive, and non-obstante clause in Section 144C(13) does not extend primary limitation period set by Section 153: ITAT (See Breaking News)
I-T - Time limit for completing assessment for 'eligible assessee' under the Dispute Resolution Panel mechanism is governed by overarching provisions of Section 153: ITAT (See Breaking News)
I-T - Fundamental jurisdictional defect cannot be cured by procedural compliance with Section 148A or by exclusion of time available under other provisos to Section 149(1): ITAT (See Breaking News)
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New Delhi, Apr 16, 2026 By TII News Service
I-T - Non-obstante clause in section 144C(13) imposes restriction on AO and denies him benefit of more expansive time limit available under secti...
New Delhi, Apr 16, 2026 By TII News Service
DTAA - Gains from trading in stock derivatives fall under Article 13(4) of DTAA & are taxable only in country of residence, i.e., Mauritius, and ...
Mumbai, Apr 16, 2026 By TII News Service
Corporate laws (Amendment) Bill 2026 - Proposals affecting auditors https://tiolcorplaws.com/news/details/NDUwNDM= IBC - Once classified as op...
Hyderabad, Apr 15, 2026 By TII News Service
I-T - Provisions of Section 144C and Section 153 are mutually inclusive, and non-obstante clause in Section 144C(13) does not extend primary limi...
Hyderabad, Apr 15, 2026 By TII News Service
I-T - Time limit for completing assessment for 'eligible assessee' under the Dispute Resolution Panel mechanism is governed by overarching provis...
Bengaluru, Apr 15, 2026 By TII News Service
I-T - Fundamental jurisdictional defect cannot be cured by procedural compliance with Section 148A or by exclusion of time available under other ...
New Delhi, Apr 14, 2026 By TII News Service
I-T - Outer time limit of 33 months in case of reference to TPO u/s 153 refers to final order, and entire proceedings must be concluded within pr...
New Delhi, Apr 14, 2026 By TII News Service
I-T - Non-obstante clause in Section 144C(13) does not override overall time limits of Section 153: ITAT...
New Delhi, Apr 13, 2026 By TII News Service
TP - Bright Line Test is invalid method for determining existence of international transaction involving AMP expenses or for computing its Arm's ...
New Delhi, Apr 13, 2026 By TII News Service
I-T - Final assessment orders passed beyond period of limitation for passing order u/s 144C(13) r/w/s 153 are barred by limitation: ITAT ...
New Delhi, Apr 10, 2026 By TII News Service
DTAA - Difference between 100% disallowance u/s 40(a)(i) for payments to non-residents & 30% disallowance u/s 40(a)(ia) for payments to residents...
New Delhi, Apr 10, 2026 By TII News Service
DTAA -Power of revision cannot be exercised where both conditions of the order being erroneous as well as prejudicial to revenue's interest, are ...
New Delhi, Apr 10, 2026 By TII News Service
I-T - Dates on which final assessment orders were passed are beyond period of limitation u/s 144C(13) r.w.s. 153, and deserves to be quashed: ITA...
New Delhi, Apr 10, 2026 By TII News Service
TP - Comparing controlled transactions with other controlled transactions is contrary to Section 92F(ii): ITAT ...
Pune, Apr 09, 2026 By TII News Service
INTL - Delay in filing Form 67 is procedural & directory in nature & cannot be a ground to deny substantive relief of Foreign Tax Credit: ITAT ...
New Delhi, Apr 09, 2026 By TII News Service
I-T - Time-limits prescribed u/s 153 are applicable to final assessment orders passed under Section 143(3) r/w/s 144C(13): ITAT...
Ahmedabad, Apr 08, 2026 By TII News Service
TP - TPO's action of determining ALP at NIL without applying any prescribed method u/s 92C & without properly rejecting assessee's benchmarking a...
New Delhi, Apr 07, 2026 By TII News Service
I-T - Entitlement to tax withholding certificate at ‘NIL' rate depends on agreement between parties: HC...
Bengaluru, Apr 07, 2026 By TII News Service
TP - Overdue receivables from AE are considered a separate international transaction of 'capital financing' under Explanation 1(c) to Section 92B...
New Delhi, Apr 07, 2026 By TII News Service
INTL -Limitation prescribed u/s 153 continues to apply even where assessment is framed through draft order procedure u/s 144C: ITAT...
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