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HR is just as important for small businesses as it is for larger ones. Failing to address HR issues can put an additional stress on your workforce, especially as most small businesses won’t have an official, designated HR department. Outsourcing your HR alleviates this pressure, allowing you to focus on developing your business.

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Importance of a consultant in real time for a business registration is simple to complete your task. It is the process of protecting your company details in a safer manner under a legal authority. If you find easy to implement this registration process without a consultant is impossible at the maximum. In India consultant companies are the prime authority who safe guard your business activities by registering under a specific legal form.

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As per Service Tax Rules, 1994, ‘Legal Service’ means any service provided in relation to advice, consultancy or assistance in any branch of law, in any manner and includes representational services before any court, tribunal or authority. Legal service would include advice, consultancy, technical assistance in legal matter and appearance before court and various judicial and quasi-judicial authorities. Service tax was first introduced on ‘Legal Consultancy Service’ from 01.09.2009 by the Finance (No.2) Act, 2009 by inserting clause (zzzzm) in Section 65 (105) of the Finance Act, 1994.

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As per Service Tax Rules, 1994, ‘Legal Service’ means any service provided in relation to advice, consultancy or assistance in any branch of law, in any manner and includes representational services before any court, tribunal or authority. Legal service would include advice, consultancy, technical assistance in legal matter and appearance before court and various judicial and quasi-judicial authorities. Service tax was first introduced on ‘Legal Consultancy Service’ from 01.09.2009 by the Finance (No.2) Act, 2009 by inserting clause (zzzzm) in Section 65 (105) of the Finance Act, 1994.

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ITAT adjudicates transfer pricing adjustment on transaction of interest-free loans advanced by assessee (jeweler) to its wholly owned foreign subsidiaries; Observes that such transaction comes under purview of international transaction requiring adjustment on account of arm's length price u/s 92 for interest income, and that it did not matter if advance was given out of interest-free funds available with assessee; Thus follows HC decision in Tata Autocomp, and directs AO to compute adjustment by applying LIBOR rate of interest; Further, observes from record that part of loan was subsequently converted into equity, thus holds that in view of HC decision in the case of Vodafone, no transfer pricing adjustment required, with effect from date of such conversion; Accordingly, deletes adjustment to that extent : Mumbai ITAT

 

ITAT adjudicates transfer pricing adjustment on transaction of interest-free loans advanced by assessee (jeweler) to its wholly owned foreign subsidiaries; Observes that such transaction comes under purview of international transaction requiring adjustment on account of arm's length price u/s 92 for interest income, and that it did not matter if advance was given out of interest-free funds available with assessee; Thus follows HC decision in Tata Autocomp, and directs AO to compute adjustment by applying LIBOR rate of interest; Further, observes from record that part of loan was subsequently converted into equity, thus holds that in view of HC decision in the case of Vodafone, no transfer pricing adjustment required, with effect from date of such conversion; Accordingly, deletes adjustment to that extent : Mumbai ITAT
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