amitkrg246@yahoo.com

WHETHER ERRONEOUS CLAIM SIMPLICITER WOULD AUTOMATICALLY ATTRACT PENALTY?

WHETHER ALL RECEIPTS ARE INCOME & ALL INCOME ARE TAXABLE FOR ISSUING NOTICE U/S 148?

WHETHER A.O. IS TO BE GUIDED BY SOMEONE ELSE TO TAKE INFERENCE ON FACTS SUBMITTED TO HIM BY ASSESSEE

WHETHER RECTIFICATION U/S 154 STAND ON ITS OWN & IS AN INDEPENDENT PROCEEDING.

WHETHER SALE OF 98 LAKH BY JEWELLER TO 50 CUSTOMERS ON DEMONETISATION DAY IN 4 HOURS IS IMPROBABLE?

WHETHER ASSESSEE HAS ALSO TO CHALLENGE THE FINDINGS OF THE A.O THAT NOTICE HAS BEEN SERVED?

Whether notice u/s 148 deserves to be quashed if amount alleged is different in 148A(b) and 148A(d)?

Whether notice u/s 148 beyond 3 years is valid if assessee’s share in property is below 50 lakhs?

Whether sub licensing of software with maintenance support & training is fees for technical services

WHETHER COMMONALITY OF DIRECTORS AND AUDITORS OF INVESTORS BE THE BASIS OF SECTION 68 ADDITIONS?

Whether freezing of bank accounts under search beyond 60 days without reasonable cause is justified?

Whether final assessment order based on DAO issued with penalty and demand notice valid?

Whether reassessment is permissible on mere change of opinion in new procedure under section 148A?

WHETHER CSR EXPENDITURE NOT UNDER OBLIGATION UNDER COMPANIES ACT IS ALLOWABLE U/S 37(1)?

WHETHER EXCESS FEES PAID FOR FILING APPEALS TO ITAT IS TO BE REFUNDED TO ASSESSEE?

Whether prosecution for late deposit of TDS sustainable if delay is beyond control of assessee?

Whether CIT(A) after calling remand report can reject appeal on ground of limitation?

Whether writ against notice u/s 148 can be entertained when time for appeal has expired?

WHETHER FAILURE ON THE PART OF A.O. TO ASK QUERY IN ORIGINAL ASSESSMENT EMPOWER HIM TO OPEN U/S 148?

Can 80-IA deduction be denied on ground of just expansion of business by adding a new consumer base?

WHETHER ADDITIONS U/S 68 IS JUSTIFIED SIMPLY BECAUSE SUBSCRIBERS DID NOT COMPLY WITH SUMMONS?

Whether mere failure to pay tax could be equated with wilful attempt to evade tax?

Can order u/s 153A be revised u/s 263 without revising approval u/s 153D by Joint Commissioner?

Whether payment of every commission to a director will be covered by dividend distribution tax?