Cash debits/credits in undisclosed bank accounts unearthed during the course of assessment proceedings – theory of peak credit – how far applicable?
Query – An Indian company is making a lease agreement with Individual assessee (owner of the agricultural lands) for carrying on pure agricultural activities thereon for deriving agricultural income there from. Taxation issues in the hands of company?
S. 269SS/ 271D Penalty: It is not enough for the assessee to show that the transaction of taking loan/ deposit by cash is genuine or bona fide. It has also to be shown that there was reasonable cause u/s 273B for the assessee being unable to take the loan/deposit by account payee cheque or account payee bank draft
S. 147/148: If the recorded reasons do not specify, prima-facie, the quantum of tax which has escaped assessment but merely state that it would be at least Rs.1,00,000, and if the reopening is to “verify” suspicious transactions, prima-facie, the reasons do not indicate reasonable belief of the AO and the notice is without jurisdiction
An HUF is partner in a firm and remuneration is paid to the Karta of HUF – whether allowable as deduction u/s 40(b) of The Income Tax Act? In whose hands the remuneration is taxable – individual or HUF?
Simultaneous deduction u/s 54F and 54B from capital gain arising on sale of eligible agricultural land – whether permissible?