Daily Archives: May 6, 2026

Transfer of Capital Asset as a Result of Business Restructuring AY 2026-27

By | May 6, 2026

Transfer of Capital Asset as a Result of Business Restructuring Introduction Transfers of capital assets under schemes like amalgamation, demerger, or business reorganisation are not considered “transfer” under Section 47 of the Income-tax Act, 1961, if specific conditions are met. Key Transactions Exempt from Capital Gains Amalgamation Meaning of Amalgamation [Section 2(1B)]: Amalgamation means the merger of… Read More »

Important GST Case Laws 30.04.2026

By | May 6, 2026

Important GST Case Laws 30.04.2026 Relevant Act Section Case Law Title Citation Brief Summary CGST Act, 2017 Sec 54 CBF Component (P) Ltd v. Union of India Click Here Refund Rights: Rejection order set aside because the authority failed to grant the statutory 15-day period for a reply and denied a personal hearing. IGST Act,… Read More »

Category: GST

Admission of Liability in SCN Reply: Finality of Demand and Non-Maintainability of Writ

By | May 6, 2026

Admission of Liability in SCN Reply: Finality of Demand and Non-Maintainability of Writ Facts The Period: The dispute pertained to the period from April 2019 to December 2019. The Notice: The Department issued a Show Cause Notice (SCN) proposing a demand related to delayed tax remittance. The Admission: In its formal reply to the SCN,… Read More »

Conversion or Succession of Entities Not Regarded as Transfer AY 2026-27

By | May 6, 2026

Conversion or Succession of Entities Not Regarded as Transfer Introduction Transfers of capital assets during the conversion or succession of entities are not considered “transfer” under Section 47 of the Income-tax Act, subject to specific conditions. If conditions are not complied with, the exemption shall be withdrawn. Key Transactions Exempt from Capital Gains Succession of Firm by… Read More »

Transfer of Capital Asset Between Holding and Subsidiary Companies AY 2026-27

By | May 6, 2026

Transfer of Capital Asset Between Holding and Subsidiary Companies Introduction Transfers of capital assets between a holding company and its subsidiary (or vice-versa) are not regarded as “transfer” under Section 47 of the Income-tax Act, subject to specified conditions. Such transactions are exempt from capital gains tax unless certain conditions are breached. Conditions for Exemption Transfer by… Read More »

Transfer of Capital Asset AY 2026-27

By | May 6, 2026

Transfer of Capital Asset Introduction “Transfer” refers to the passage of rights in a property from one person to another. It is defined inclusively under Section 2(47) of the Income-tax Act. Meaning of Transfer Transfer of a capital assets includes: Sale, exchange or relinquishment of the assets Extinguishment of any rights Compulsory acquisition under any law Conversion… Read More »

Capital Asset AY 2026-27

By | May 6, 2026

Capital Asset Introduction A capital asset includes movable and immovable property held by an assessee, excluding certain personal assets and rural agricultural land. Definition [Section 2(14)] A capital asset includes: Any kind of property held by an assessee (movable, immovable, tangible, or intangible), whether used for business purposes or not. Securities held by FIIs or Category I/II… Read More »