S. 40A(3) : Expenses or payments not deductible-Cash payments exceeding prescribed limits-Transporters-Each payment was less than Rs 35000/-Matter remanded.
S. 40A(3) : Expenses or payments not deductible-Cash payments exceeding prescribed limits-Transporters-Each payment was less than Rs 35000/-Matter remanded.
S. 40(a)(ia): Amounts not deductible-Deduction at source-Only interest and not principal-Form No 26A filed-Delay is condoned-Matter remanded. [S.194A, 201(1)]
S. 40(a)(i) : Amounts not deductible-Deduction at source-Commission-Non-resident agents-Payments were made outside India-Not having a permanent establishment in India-Not liable to deduct tax at source-Allowable as deduction-DTAA-India-France-Italy-Greece-Lebanon. [S. 37(1)]
S. 40(a)(i) : Amounts not deductible-Deduction at source-Non-resident-Salary-Deducted TDS and deposited it in the government account within the specified time-Disallowance of salary cost is not justified.[S. 192]
S. 37(1) : Business expenditure-Audit of accounts-Ad-hoc disallowance-Order of CIT(A) disallowing the ad-hoc disallowance is affirmed. [S.44AB]
S. 37(1) : Business expenditure-Employee Stock Option (ESOP)-Allowable as business expenditure.
S. 37(1) : Business expenditure-Bogus purchase-Rough diamonds-Estimate addition-Estimated the profit @ 3% of the polished diamonds and @5% of the rough diamonds. [S. 143(3)]
S. 37(1): Business expenditure-Capital or revenue-ROC filing fees paid for increase in share capital-Not allowable as revenue expenditure.
S. 37(1) : Business expenditure-Prior period expense-Method of accounting-Not proved with necessary evidence-Commission-Lack of evidence-Disallowance is affirmed. [S. 145]
S. 37(1) : Business expenditure-Ad-hoc basis-Books of account not rejected-Disallowance of expenses and purchase differences-Revenue stamps not affixed-Books of accounts audited-Purchase differences reconciled with suppliers-Ad hoc disallowance not sustainable.[S. 133(6), 145]