Friday, July 10, 2020

ALP to be determined at rate of 3% and 1% respectively towards old guarantees new guarantees issues during year

I TRANSFER PRICING: Where there was no cost incurred to provide corporate guarantee, ALP in respect of old guarantees was to be determined at 3 per cent and in respect of fresh guarantees issued during year, ALP should be determined at 1 per cent

from www.taxmann.com Latest Case Laws https://ift.tt/2W4ulS6

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AO can’t disallow cost of improvement merely relying on enquiries made with assessee’s neighbour: ITAT

INCOME TAX : Where assessee had purchased a flat and incurred expenditure of Rs. 23 lakhs for purpose of renovating house and Assessing Offi...