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A charge is wider than mortgage - it would cover within its ambit mortgage also. Therefore when a first charge is created by operation of law under Sales Tax Act or Income tax Act, over any property, that charge will have precedence over an existing mortgage. |
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A rectification order can further be rectified if application is within four years of the order to be rectified. Limitation for 4 years for Rectification need not run from date of original assessment order but would run from the date of the order sought to be rectified. [Followed in 230 ITR 139 (MAD)] |
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Issuance of a notice of reassessment within the period of limitation gave jurisdiction to the A.O. to make re-assessment (notice of reassessment should be dispatched by registered post) (thus, service of the notice before the limitation is not necessary) |
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A firm holding Abkari license - partners
entering into sub partnership for finance - such sub partnership is not
prohitited in Partnership Act or in Excise Act; sub - partnership is entitled
for registration. |
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Some amount was found as credits in the
books of the assessee and it was claimed to be winning from jackpots and
treble events at turf clubs in Bangalore, Madras and Hydrabad. The AAC
confirmed the addition made by A.O. u/s 68, the assessee moved to ITSC,
which by a majority held that explanation of the Assessee was not genuine
for the following reasons:- |
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A co-owner of House property is entitled to statutory deduction u/s 23(2) in respect of his share if it is definite and ascertainable. |
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Application for extention of time to file
a return can be furnished even after expiry of time allowed u/s 139(2)
or extended time allowed because of use of the words "it has not been
possible" in form 6. |
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Entertainment expenditure is an expression
of wide import. But for section 37(2A) of the IT Act the word "Entertainment"
must be construed strictly and not expansively. Ordinarily "Entertainment"
connotes something, which may be beneficial for mental or physical well-being
but is not essential or indispensable for human existence. A bare necessity
like ordinary meal is essential or indispensable and is therefore not
an entertainment. It is only an hospitality which is not included in the
meaning of "entertainment". Enlarged meaning given to entertainment so
as to include hospitality is applicable with effect from 1.4.76 as explanation
2 is inserted with effect from that date, being not clarificatory, in
nature it is not retrospective. |
Returns of loss were filed. The
ITO refused to take cognizance of the return on the ground that they were
filed beyond time and informed the assessee that no cognizance could be
taken of the said returns. Assessee did not file appeal against the order
of ITO refusing to take cognizance of the returns. It was held that assessee
cannot now claim in assessment proceedings of subsequent year that losses
in the above yeas(for which belated returns were filed and assessments
were not done) should be determined, carried forward and set off against
the profits in such subsequent year. Principles laid down in Khusal Chand
Daga's case 42 ITR 177 (SC) could not be applied here as default is anterior
in stage - assessments were not framed whereas in Khusal Chand Daga's
case assessment were made on the loss return but intimation was not given.
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For allowing set off of brought forward depreciation in the current year there is no necessity that same business should continue in the current year also or that same asset (on which depreciation was allowed in the earlier year but could not be set of and had to be carried forward to current year) should continue to exist. [Followed/ applied in 232 ITR 634 (Mad); 232 ITR 637 (Mad); 238 ITR 221(Guj); 258 ITR 23(Del)] |
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