Daily Archives: February 10, 2026

Validity of Section 37(1) Disallowance on Transactions Covered by Advance Pricing Agreements

By | February 10, 2026

Validity of Section 37(1) Disallowance on Transactions Covered by Advance Pricing Agreements Reference: Section 37(1) read with Section 92CC Assessment Year: 2017-18 Status: In Favor of Assessee Legal Issue: Can the Revenue disallow intra-group payments under Section 37(1) if the same transactions are covered by a unilateral Advance Pricing Agreement (APA)? Summary of Facts: The… Read More »

Denial of Section 54B Exemption for Pre-2017 Joint Development Agreements and Remand for Capital Gains Computation

By | February 10, 2026

Denial of Section 54B Exemption for Pre-2017 Joint Development Agreements and Remand for Capital Gains Computation Reference: Sections 54B, 54F, 2(47), and 45 of the Income-tax Act, 1961 Assessment Year: 2017-18 Status: In Favor of Revenue / Matter Remanded 1. The Core Dispute: Determination of Transfer Date in Joint Development Agreements The assessee, a landowner,… Read More »

Entitlement to Section 54 Deduction in Reassessment Proceedings

By | February 10, 2026

Entitlement to Section 54 Deduction in Reassessment Proceedings Court: Income Tax Appellate Tribunal (ITAT) / High Court (e.g., Navjyoti Sharma vs. DCIT, 2025; ITAT Ruling, 2025) Assessment Year: 2015-16 Statutory Reference: Sections 54, 139, and 148 of the Income-tax Act, 1961 Status: In Favor of Assessee 1. The Core Dispute: Fresh Claims during Reassessment The… Read More »

Taxation of Securitisation Trusts as Revocable Trusts under Section 61

By | February 10, 2026

Taxation of Securitisation Trusts as Revocable Trusts under Section 61 Reference: Sections 61, 63, and 164 of the Income-tax Act, 1961 Assessment Year: 2016-17 Status: In Favor of Assessee (Securitisation Trust) 1. The Core Dispute: Trust vs. Association of Persons (AOP) The assessee, a Securitisation Trust formed under the SARFAESI Act, 2002, by an Asset… Read More »

Search Assessments, Section 153C Jurisdiction, and Additions Based on Uncorroborated Third-Party Excel Sheets

By | February 10, 2026

Search Assessments, Section 153C Jurisdiction, and Additions Based on Uncorroborated Third-Party Excel Sheets Reference: Sections 153C, 153D, 68, 54B, and 147 of the Income-tax Act, 1961 Assessment Years: 2016-17 to 2018-19 Status: In Favor of Assessee I. Illegal Assumption of Jurisdiction under Section 153C due to Non-Furnishing of Satisfaction Note Legal Issue: Can an Assessing… Read More »

Legal Case Digest: Invalidation of Special Audit Orders for Missing Document Identification Number (DIN)

By | February 10, 2026

Legal Case Digest: Invalidation of Special Audit Orders for Missing Document Identification Number (DIN) Reference: Section 142(2A) read with Section 119 of the Income-tax Act, 1961; CBDT Circular No. 19/2019 Assessment Year: 2023-24 Status: In Favor of Assessee (Orders Quashed) 1. The Core Dispute: Procedural Mandates vs. Special Audit Powers In this case (e.g., Sanjay… Read More »

Admission of Additional Evidence for Correct Matching of TDS Credit with Income Year

By | February 10, 2026

Admission of Additional Evidence for Correct Matching of TDS Credit with Income Year Reference: Section 199 of the IT Act; Rules 29 and 37BA of the IT Rules; Article 12 of India-Switzerland DTAA Assessment Year: 2020-21 Status: Matter Remanded (In Favor of Assessee for Verification) 1. The Core Dispute: Timing Mismatch between Income and TDS… Read More »

Invalidation of Non-Speaking Orders Rejecting Immunity under Section 270AA

By | February 10, 2026

Invalidation of Non-Speaking Orders Rejecting Immunity under Section 270AA Assessment Year: 2023-24 Statutory Reference: Sections 270AA, 270A, 154, and 143(3) of the Income-tax Act, 1961 Status: In Favor of Assessee (Matter Remanded) 1. The Core Dispute: Denial of Immunity Despite Fulfillment of Conditions The assessee-company sought immunity from penalty under Section 270AA after a scrutiny… Read More »

Setting Aside Ex-Parte Orders Due to Improper Notice Service (AY 2015-16)

By | February 10, 2026

Setting Aside Ex-Parte Orders Due to Improper Notice Service (AY 2015-16) 1. Background of the Case Reopening (Section 147): The case was reopened after the Assessing Officer (AO) identified potential escapement of income related to interest earnings and transactions of immovable property. Ex-Parte Assessment (Section 144): During the reassessment, the assessee allegedly failed to comply… Read More »