Section 37(1) of the Income Tax Act, 1961 says that any expenditure (not being of that nature as mentioned in sections 30 to 36 and not capital expenditure or personal expenses of assessee), laid out or expended wholly or exclusively for the purposes of the business or profession shall be allowed in computing the income chargeable under the head “Profits and gains of business or profession.” According to the explanation pertaining to this section any expenditure incurred by an assessee for any purpose which is an offence or which is prohibited by law shall not be deemed to have been incurred for the purpose of business or profession and no deduction or allowance shall be made in respect of such expenditure
Petitioner gave shares of stock in a closely held family corporation to his wife and children. After...
“Income tax is a tax on Income earned and received in India by the Assessee. Every person is liabl...
The corporate form is often superior to other business structures because of the financial flexibili...
The tax treatment of company funds expended in the solicitation of business supply sources arose in ...
The problem of legal causation has its interest even for the tax-gatherer and the brewer. The income...
The problem of legal causation has its interest even for the tax-gatherer and the brewer. The income...
In the sections that follow, every effort has been made to deduce the motivating philosophy behind t...
A business may reduce its gross income by its expenses to arrive at taxable income; however, not all...
M.Com.Abstract: Section 15 of the Income Tax Act, No. 58 of 1962 allows a taxpayer engaged in mining...
Respondent, a miner of raw fire clay and a manufacturer of such clay into vitrified products, claime...
It is apparent from an examination of the various court decisions that there is no single, common st...
The 2006 High Court decision in the case of Commissioner of Taxation v Citylink Melbourne Ltd (2006)...
The 2006 High Court decision in the case of Commissioner of Taxation v Citylink Melbourne Ltd (2006)...
The two “pillars” on which taxable income is based are the definition of “gross income” in section 1...
Copyright © 2014 LexisNexis. This article is made available per the publisher's Content Sharing poli...
Petitioner gave shares of stock in a closely held family corporation to his wife and children. After...
“Income tax is a tax on Income earned and received in India by the Assessee. Every person is liabl...
The corporate form is often superior to other business structures because of the financial flexibili...
The tax treatment of company funds expended in the solicitation of business supply sources arose in ...
The problem of legal causation has its interest even for the tax-gatherer and the brewer. The income...
The problem of legal causation has its interest even for the tax-gatherer and the brewer. The income...
In the sections that follow, every effort has been made to deduce the motivating philosophy behind t...
A business may reduce its gross income by its expenses to arrive at taxable income; however, not all...
M.Com.Abstract: Section 15 of the Income Tax Act, No. 58 of 1962 allows a taxpayer engaged in mining...
Respondent, a miner of raw fire clay and a manufacturer of such clay into vitrified products, claime...
It is apparent from an examination of the various court decisions that there is no single, common st...
The 2006 High Court decision in the case of Commissioner of Taxation v Citylink Melbourne Ltd (2006)...
The 2006 High Court decision in the case of Commissioner of Taxation v Citylink Melbourne Ltd (2006)...
The two “pillars” on which taxable income is based are the definition of “gross income” in section 1...
Copyright © 2014 LexisNexis. This article is made available per the publisher's Content Sharing poli...
Petitioner gave shares of stock in a closely held family corporation to his wife and children. After...
“Income tax is a tax on Income earned and received in India by the Assessee. Every person is liabl...
The corporate form is often superior to other business structures because of the financial flexibili...