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Tie breaker Rule in Double Taxation Avoidance Agreement (DTAA)

Author
Ram Dutt Sharma
07/05/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 324
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Tie breaker Rule in Double Taxation Avoidance Agreement (DTAA)The Tie breaker rule for residential status refers to the criteria used to determine an individual’s primary place of residence, usually for tax purpos...

Whether Sumptuary allowance granted to judicial officer is exempt from payment of Income Tax?

Author
Ram Dutt Sharma
07/05/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 318
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Whether Sumptuary allowance granted to judicial officer is exempt from payment of Income Tax?The sumptuary allowance is a specific benefit provided to judicial officers in India to cover entertainment expenses. This allo...

Capital gain exemption on transfer of long-term capital asset (other than residential house) [Section 54F of Income-tax Act, 1961]

Author
Ram Dutt Sharma
07/05/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 743
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Capital gain exemption on transfer of long-term capital asset (other than residential house) [Section 54F of Income-tax Act, 1961]Section 54F of Income-tax Act, 1961 grants exemption from long-term capital gains (LT...

Specific mechanism for Secondary Adjustments rules in Indian Transfer Pricing regime [Section 170 of the Income Tax Act, 2025

Author
Ram Dutt Sharma
07/05/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 640
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Specific mechanism for Secondary Adjustments rules in Indian Transfer Pricing regime [Section 170 of the Income Tax Act, 2025Section 170 of the Income Tax Act, 2025 provides that a secondary adjustment shall be made in c...

Principle of Peak Credit Theory under Income Tax Act, 1961 – Complete Analysis with Landmark Case Laws, Section 68 & Judicial Findings

Author
Ram Dutt Sharma
07/05/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 574
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Principle of the Peak Credit Theory in Income TaxMeaning of Peak credit theory :§  Instead of taxing entire deposits, only the maximum unexplained balance (peak) is taxed§  Because wi...

Smt. Usha Chaurasia & Ors. vs Assistant Commissioner of Income Tax & Anr. – Delhi High Court on Refund of Excess Tax Paid and Interest Liability under the Income Tax Act, 1961

Author
My Tax Expert
07/05/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 141
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 Facts of the CaseThe petitioners approached the Delhi High Court claiming refund of excess amounts paid towards their income tax dues. The grievance primarily concerned delay and short payment of interest on such...

Ashok Chawla vs Commissioner of Income Tax, New Delhi (Delhi High Court) – Validity of Search & Seizure under Section 132, Block Assessment of Undisclosed Income, Foreign Bank Account, Unexplained Investments & Scope of Evidence under the Income Tax Act, 1961

Author
My Tax Expert
07/05/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 163
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Facts of the CaseAshok Chawla, a retired Indian Army officer, established Centaur Helicopter Services Pvt. Ltd., which was engaged in helicopter transactions in India.The Revenue suspected that he was earning substant...

Ashok Chawla vs Commissioner of Income Tax, New Delhi | Delhi High Court | Validity of Search & Seizure under Section 132 and Block Assessment of Undisclosed Income under the Income Tax Act

Author
My Tax Expert
07/05/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 159
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Facts of the CaseThe principal assessee, Ashok Chawla, a retired Army officer, established Centaur Helicopter Services Pvt. Ltd., an authorized dealer for Schweizer Aircraft Corporation, USA.The Revenue suspected that...

Ashok Chawla & Connected Matters vs Commissioner of Income Tax, New Delhi | Delhi High Court | Search & Seizure under Section 132, Block Assessment & Undisclosed Income Additions under Income Tax Act

Author
My Tax Expert
07/05/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 160
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Facts of the CaseThe present batch of appeals and writ petitions arose from scrutiny assessments pursuant to search and seizure operations conducted by the Income Tax Department in 1995 against Ashok Chawla and assoc...

Ashok Chawla vs Commissioner of Income Tax, New Delhi (Delhi High Court) – Validity of Search u/s 132, Block Assessment of Undisclosed Income, Foreign Bank Account & Unaccounted Assets

Author
My Tax Expert
07/05/2026  |  0 COMMENTS  |  VISITOR'S COUNT: 165
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Facts of the CaseThe present batch of appeals and writ petitions arose from search and seizure proceedings conducted by the Income Tax Department in the year 1995 against Ashok Chawla, his business entities, and assoc...