filmov
tv
amitkrg246@yahoo.com
0:00:59
WHETHER ERRONEOUS CLAIM SIMPLICITER WOULD AUTOMATICALLY ATTRACT PENALTY?
0:01:00
WHETHER ALL RECEIPTS ARE INCOME & ALL INCOME ARE TAXABLE FOR ISSUING NOTICE U/S 148?
0:00:58
WHETHER A.O. IS TO BE GUIDED BY SOMEONE ELSE TO TAKE INFERENCE ON FACTS SUBMITTED TO HIM BY ASSESSEE
0:00:59
WHETHER RECTIFICATION U/S 154 STAND ON ITS OWN & IS AN INDEPENDENT PROCEEDING.
0:01:00
WHETHER SALE OF 98 LAKH BY JEWELLER TO 50 CUSTOMERS ON DEMONETISATION DAY IN 4 HOURS IS IMPROBABLE?
0:00:59
WHETHER ASSESSEE HAS ALSO TO CHALLENGE THE FINDINGS OF THE A.O THAT NOTICE HAS BEEN SERVED?
0:01:00
Whether notice u/s 148 deserves to be quashed if amount alleged is different in 148A(b) and 148A(d)?
0:01:00
Whether notice u/s 148 beyond 3 years is valid if assessee’s share in property is below 50 lakhs?
0:05:43
Whether sub licensing of software with maintenance support & training is fees for technical services
0:01:00
WHETHER COMMONALITY OF DIRECTORS AND AUDITORS OF INVESTORS BE THE BASIS OF SECTION 68 ADDITIONS?
0:00:58
Whether freezing of bank accounts under search beyond 60 days without reasonable cause is justified?
0:00:58
Whether final assessment order based on DAO issued with penalty and demand notice valid?
0:01:00
Whether reassessment is permissible on mere change of opinion in new procedure under section 148A?
0:01:00
WHETHER CSR EXPENDITURE NOT UNDER OBLIGATION UNDER COMPANIES ACT IS ALLOWABLE U/S 37(1)?
0:01:00
WHETHER EXCESS FEES PAID FOR FILING APPEALS TO ITAT IS TO BE REFUNDED TO ASSESSEE?
0:00:57
Whether prosecution for late deposit of TDS sustainable if delay is beyond control of assessee?
0:00:59
Whether CIT(A) after calling remand report can reject appeal on ground of limitation?
0:01:00
Whether writ against notice u/s 148 can be entertained when time for appeal has expired?
0:00:57
WHETHER FAILURE ON THE PART OF A.O. TO ASK QUERY IN ORIGINAL ASSESSMENT EMPOWER HIM TO OPEN U/S 148?
0:01:00
Can 80-IA deduction be denied on ground of just expansion of business by adding a new consumer base?
0:00:57
WHETHER ADDITIONS U/S 68 IS JUSTIFIED SIMPLY BECAUSE SUBSCRIBERS DID NOT COMPLY WITH SUMMONS?
0:00:57
Whether mere failure to pay tax could be equated with wilful attempt to evade tax?
0:00:58
Can order u/s 153A be revised u/s 263 without revising approval u/s 153D by Joint Commissioner?
0:00:58
Whether payment of every commission to a director will be covered by dividend distribution tax?
Вперёд