of business or profession is com aimed by deducting the  expenditures from the receipts which  ar in the nature of income.     The  encumbrance for claiming expenditure as a  demonstration is on the taxpayer,  understanding that it was actually incurred and was wholly and   yet in relation to business or profession.     In the  present-day(a) context one of the convenient modes of proving the fact of expenditure is to   go on  hire by  feel out, preferably account-payee cheque, to show the  legitimacy of  payment and  in that respectafter justifying its eligibility for deduction.     All payments by cheque need  non  inescapably be sacrosanct. The assessing officer (AO) can still  master the genuineness and the need for such expenditure, as held in the Schneider  electrical India Ltd vs CIT (2008 171  internal revenue agent 177 Delhi) case.     In this case, the expenditure towards  counseling was doubted by the AO and the deduction was denied  bandage computing the total income. The    tribunal found factually that  there was no agreement between the taxpayer and the commission  promoter and there was no material on record to show that the commission agent procured any business to the taxpayer.     It was held that the payment by account-payee cheque by itself is not sufficient to discharge the onus of expenditure and the decision of the tribunal was affirmed by the  appeal.

     Payments make to an  assort concern towards goods or services could be subjected to  logical  show as contained in Section 40A(2)(a) of the Income-Tax Act. The allied or  sister concern for the purpose of applying this reas   onable test is cover  widely by clause (b) o!   f Section 40A(2).     In CIT vs Paarel Imports & Exports (P) Ltd (171 Taxman 209), the taxpayer  paid service charges to a consultancy firm in which its managing  theatre conductor and other directors were partners.     The services rendered by the allied concern were no different from what was done by the directors of the company.     On the basis of facts, the  move held that the transaction towards...If you want to get a full essay,  put together it on our website: 
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