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Application Of Natural Justice And Other Issues In Reassessment (Video)
Advocate Kapil Goel has dealt with the various legal and procedural aspects of reopening of assessments under sections 147 and 148 of the Income-tax Act, 1961. He has referred to all the important judgements on the principles of natural justice and explained how its non-observance by the AO can prove fatal to the reassessment. He has also prepared a check-list of the manner in which taxpayers should respond to a reopening notice. Practical suggestions regarding the correspondence with the Department have also been offeredAssessment Under The Black Money Act: Whether Discriminatory?
Advocate Sameer Bhatia has conducted an in-depth study of The Black Money (Undisclosed Foreign Income and Assets) and Imposition of Tax Act, 2015 and explained its provisions. He has also explained the interplay between this Act and the Income-tax Act and the similarity and differences in their provisions. He has also dealt with the important question whether the said Act can be regarded as being discriminatory in nature See Also: Digest of case laws (updated regularly) containing latest judgements reported in BCAJ, CTR, DTR, ITD, ITR, ITR (Trib), Chamber's Journal, SOT, Taxman, TTJ, BCAJ, ACAJ, www.itatonline.org and other journals
Transfer Pricing: Most Appropriate Method For Computing Arm's Length Price (ALP) Of An International Transaction
Advocate P. C. Yadav has explained the concept of "Most Appropriate Method" as referred to in section 92C of the Income-tax Act, 1961 read with Rule 10C of the Income-tax Rules. He has collated all the important judgements on the subject and pointed out the various factors that a taxpayer has to take into account while choosing one of the several methods to benchmark his international transaction and prove that it is at arm's length__._,_.___
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