Monthly Archives: June 2025

Writ Petition Dismissed: Illegible RUDs and Fewer Hearings Not a Natural Justice Violation if Hearing Attended and Appeal Available

By | June 9, 2025

I. Writ Petition Dismissed: Illegible RUDs and Fewer Hearings Not a Natural Justice Violation if Hearing Attended and Appeal Available Issue: Whether a writ petition challenging a demand order can be maintained on the grounds that relied-upon documents (RUDs) were illegible/unclear and that insufficient opportunities for personal hearings were provided, especially when one hearing was… Read More »

IMPORTANT INCOME TAX CASE LAWS 07.06.2025

By | June 9, 2025

IMPORTANT INCOME TAX CASE LAWS 07.06.2025 SECTION CASE LAW TITLE Brief Summary Citation Relevant Act 2(15) Kalanjiam Development Financial Services v. Income-tax Officer (Exemptions) Where the main objective of a trust is microfinance (lending operation), it is its main business and not incidental to a charitable object; hence, the trust cannot claim exemption u/s 11.… Read More »

Refund Under Vivad Se Vishwas Act Entitled to Interest Under Section 244A for Delayed Payment

By | June 9, 2025

Refund Under Vivad Se Vishwas Act Entitled to Interest Under Section 244A for Delayed Payment Issue: Whether an assessee, who has opted for and received a refund as part of a settlement under the Direct Tax Vivad Se Vishwas Act, 2020 (DTVSVA), is entitled to interest on the delayed payment of that refund under Section… Read More »

Section 149(1)(c) Retrospective Applicability for Foreign Assets: Referred to Larger Bench Due to Conflicting Interpretations and Unconsidered Explanation

By | June 9, 2025

Section 149(1)(c) Retrospective Applicability for Foreign Assets: Referred to Larger Bench Due to Conflicting Interpretations and Unconsidered Explanation Issue: Whether Section 149(1)(c) of the Income-tax Act, 1961 (which allows for a longer limitation period for reopening assessments concerning foreign assets), introduced with effect from July 1, 2012, has retrospective operation, allowing for reopening of assessments… Read More »

Reopening Notice Issued After Original Limitation Period (Pre-Finance Act, 2021) is Without Jurisdiction

By | June 9, 2025

Reopening Notice Issued After Original Limitation Period (Pre-Finance Act, 2021) is Without Jurisdiction Issue: Whether a reopening notice issued under Section 148 of the Income-tax Act, 1961, for Assessment Year 2013-14, on March 26, 2021, is valid, given that it was issued after the expiry of the period of limitation prescribed under Section 149(1)(a) and… Read More »

Authorized Officer Cannot Issue Section 131(1A) Notice Post-Search Actions Under Section 132(1)

By | June 9, 2025

I. Search and Seizure Operation Quashed: No Valid “Reason to Believe” for Non-Production of Books/Documents Issue: Whether a search and seizure operation conducted under Section 132 of the Income-tax Act, 1961, at the premises of an assessee is legal and valid, when the “reason to believe” for such search is based merely on the assessee… Read More »

Allocation of Employee Benefit Expenses to Agricultural Activities Upheld Due to Nature of Work

By | June 9, 2025

I. Allocation of Employee Benefit Expenses to Agricultural Activities Upheld Due to Nature of Work Issue: Whether the Assessing Officer (AO) was justified in allocating employee benefit expenses to agricultural activities on a proportionate basis, when the assessee claimed a much lower allocation, and the nature of the agricultural activity was specialized and labor-intensive. Facts:… Read More »

Section 80-IA(9): Deduction Under Other Chapter VI-A Provisions Not Restricted in Computation,

By | June 9, 2025

Section 80-IA(9): Deduction Under Other Chapter VI-A Provisions Not Restricted in Computation, Only in Final Allowability to Prevent Double Deduction Issue: How Section 80-IA(9) of the Income-tax Act, 1961, interacts with other deduction provisions under Heading ‘C’ of Chapter VI-A (which includes Section 80-HHC) when deduction under Section 80-IA is claimed, specifically whether it restricts… Read More »

Donation Exemption Under Section 80G: Trust with Religious Object Not Denied if Expenditure on Religious Purposes is Below 5%

By | June 9, 2025

Donation Exemption Under Section 80G: Trust with Religious Object Not Denied if Expenditure on Religious Purposes is Below 5% Issue: Whether a charitable trust can be denied approval under Section 80G(5) of the Income-tax Act, 1961, solely because its trust deed contains a specific object related to “religious purposes,” even if the trust submits that… Read More »

Capital Gain on Sale of Rights Entitlement Exempt Under India-Ireland DTAA Article 13(6)

By | June 9, 2025

I. Capital Gain on Sale of Rights Entitlement Exempt Under India-Ireland DTAA Article 13(6), Not Taxable as Share Sale Issue: Whether Short Term Capital Gains (STCG) earned by an Irish company from the sale of rights entitlement of shares of an Indian company should be taxed as “sale of shares” under Article 13(5) of the… Read More »