Insights
In absence of business nexus, no interest deduction allowed u/s 36(1)(iii) for leveraged acquisition
High Court holds that the transfer of business as a going concern is not a taxable supply under GST, recognises such transfer of business between two distinct GST registrations of the same legal entity, and permits transfer of unutilised input tax credit
Capital appreciation on conversion of OCRPS into equity shares not taxable under section 56(2)(x)