Corporate TaxArticle·31 July 2026
Safe harbour applies within tolerance limit
By J the App
Executive Summary
The ITAT, Rajkot deleted an addition made under Section 56(2)(x) in respect of the assessee's 25% share in an immovable property.
The Tribunal held that since the variation between the sale consideration and the stamp duty value of the property was within the statutory tolerance limit of 10%, no addition could be sustained under Section 56(2)(x).
Domain | Corporate Tax | Direct Tax
Background
The assessee purchased a 25% ...
Read the full article in the app
This is a premium article. Download J the App to read the complete content.