TMI BlogCommission paid to director is allowable business expenditure u/s 36(1)(ii) as assessee provided...Commission paid to director is allowable business expenditure u/s 36(1)(ii) as assessee provided substantial evidence demonstrating services rendered and resultant benefits; AO failed to prove payment was made to avoid DDT. Weighted deduction claim u/s 35(2AB) allowed in full; AO cannot solely rely on DSIR report without considering assessee's books of accounts and chartered accountant's certification. Principles of natural justice require providing reasons for reducing claim and opportunity to respond. ..... X X X X Extracts X X X X X X X X Extracts X X X X
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