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Evolution of Deemed Income Provisions: A Comparative Analysis of Income Tax Bill 2025 and Income-tax Act 1961 Clause 7 Income deemed to be received. - Income Tax Bill, 2025Extract Clause 7 Income deemed to be received. Income Tax Bill, 2025 1. Introduction The Income Tax Bill, 2025 proposes significant changes to the existing framework of deemed income under the Income-tax Act, 1961. This analysis examines the consolidation and modification of provisions related to deemed income receipt and dividend income under a single clause. 2. Legislative Context and Purpose The proposed Clause 7 of the Income Tax Bill, 2025 aims to streamline and modernize the provisions currently spread across Sections 7 and 8 of the Income-tax Act, 1961 . The consolidation reflects a more systematic approach to deemed income provisions. 3. Detailed Comparative Analysis 3.1 Structural Changes The Bill combines the provisions of Sections 7 and 8 into a single clause Creates a more logical framework by dividing deemed income into two distinct sub-clauses Maintains continuity while improving organizational clarity 3.2 Provisions Related to Employee Benefits (Sub-clause 1) Similarities: Retains the three categories of deemed income from the existing Section 7 Maintains the treatment of provident fund accretions Continues recognition of government contributions to pension schemes Key Changes: Updates reference to Schedule XI (previously Fourth Schedule) Expands scope of paragraph references in provident fund provisions More precise language regarding employer contributions 3.3 Dividend Income Provisions (Sub-clause 2) Integration of Section 8 : Incorporates existing dividend provisions into the main deemed income clause Maintains distinction between declared dividends and interim dividends Updates cross-references to align with new bill structure Modifications: Expanded definition of dividend through updated section 2(40) references Clearer language regarding unconditional availability of interim dividends Better integration with overall income computation framework 4. Practical Implications 4.1 For Taxpayers Simplified reference point for deemed income provisions Clearer framework for determining timing of income recognition Enhanced clarity on treatment of various forms of dividends 4.2 For Tax Administration Streamlined enforcement mechanism Reduced scope for interpretational disputes Better alignment with modern business practices 5. Critical Analysis 5.1 Strengths Logical consolidation of related provisions Improved clarity and organization Updated cross-references and terminology 5.2 Potential Concerns Transition challenges for existing assessments Need for updated judicial precedents Possible interpretation issues during initial implementation 6. Conclusion The proposed Clause 7 represents a significant improvement in the legislative framework for deemed income. While maintaining the essential characteristics of the existing provisions, it introduces better organization and clarity. Full Text : Clause 7 Income deemed to be received.
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