Daily Archives: January 2, 2026

Condonation of Delay Denied: Internal Dispute Between Directors is No Excuse for Late Filing when Returns for Adjacent Years were Filed on Time

By | January 2, 2026

Condonation of Delay Denied: Internal Dispute Between Directors is No Excuse for Late Filing when Returns for Adjacent Years were Filed on Time ISSUE Whether an inter se dispute amongst the directors of a company constitutes a “genuine hardship” under Section 119(2)(b) sufficient to condone a significant delay (30 months) in filing the Income Tax… Read More »

Search & Seizure: VDIS Declared Jewellery Cannot be Retaxed on Remaking; Section 115BBE Inapplicable to Estimated Business Income; Penalty u/s 270A Deleted Due to Statutory Bar u/s 271AAC

By | January 2, 2026

Search & Seizure: VDIS Declared Jewellery Cannot be Retaxed on Remaking; Section 115BBE Inapplicable to Estimated Business Income; Penalty u/s 270A Deleted Due to Statutory Bar u/s 271AAC   ISSUES Unexplained Investment (Jewellery): Whether jewellery found during a search at the premises of the assessee’s father and a third party can be added to the… Read More »

Reopening Quashed: Long Term Capital Gains (LTCG) from ‘Penny Stock’ Accepted as Genuine where Assessee Incurred Losses in Same Scrip in Future Years

By | January 2, 2026

Reopening Quashed: Long Term Capital Gains (LTCG) from ‘Penny Stock’ Accepted as Genuine where Assessee Incurred Losses in Same Scrip in Future Years ISSUE Whether the Assessing Officer (AO) was justified in reopening the assessment under Section 147/148 and treating the sale consideration of shares as unexplained cash credit under Section 68 solely based on… Read More »

Pharma Manufacturing: Replacement of Magnets in Pipelines and Spares for Effluent Treatment Plant Allowed as Revenue Expenditure

By | January 2, 2026

Pharma Manufacturing: Replacement of Magnets in Pipelines and Spares for Effluent Treatment Plant Allowed as Revenue Expenditure ISSUE Whether expenditure incurred on purchasing magnetic enclosures/bullets for removing contaminants in pipelines and for replacing parts of an Effluent Treatment Plant (ETP) constitutes capital expenditure (creating enduring benefit) or allowable revenue expenditure. FACTS Assessee: A company manufacturing… Read More »

Telecom Taxation: Variable License Fees Held Capital (Amortizable), While Spectrum Charges and KYC Penalties Allowed as Revenue Expenditure; No TDS on Prepaid Distributor Discounts

By | January 2, 2026

Telecom Taxation: Variable License Fees Held Capital (Amortizable), While Spectrum Charges and KYC Penalties Allowed as Revenue Expenditure; No TDS on Prepaid Distributor Discounts ISSUES Variable License Fee: Whether variable license fees paid under the New Telecom Policy 1999 are capital in nature (amortizable u/s 35ABB) or revenue expenditure. Spectrum Charges: Whether Spectrum Usage Charges… Read More »

Charitable Trust Donations: Displaying Donor Names at Religious Events (Janmashtami) is Acknowledgment, Not “Business Promotion”; AO’s Addition as Commercial Income Deleted

By | January 2, 2026

Charitable Trust Donations: Displaying Donor Names at Religious Events (Janmashtami) is Acknowledgment, Not “Business Promotion”; AO’s Addition as Commercial Income Deleted   ISSUE Whether voluntary contributions/donations received by a charitable trust for organizing religious events (like Janmashtami) can be treated as “Business/Advertisement Income” simply because the donors stated in Section 133(6) replies that the amounts… Read More »

Charitable Trust Assessment: Denial of Section 11 Exemption by CPC for Non-Filing Form 10B Held Invalid without Defective Return Notice; Tax to be Levied on Net Income, Not Gross Receipts

By | January 2, 2026

Charitable Trust Assessment: Denial of Section 11 Exemption by CPC for Non-Filing Form 10B Held Invalid without Defective Return Notice; Tax to be Levied on Net Income, Not Gross Receipts   ISSUES Procedural: Whether the CPC (Centralized Processing Centre) can deny an alternative claim of exemption under Section 11 while processing a return under Section… Read More »