Topic
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Speaker
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18th June 2022 : 04.00 pm to 07.00 pm
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Law on Leavy of Penalty under Direct Tax laws:
Detailed Analysis of Section 270A and evolving principles on law relating to penalty for income addition
Mitigating penalty – is disclosure enough?
Exploring writ jurisdiction in penalty proceedings
Penalty risk for directors and partners
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Adv. CA. V. Sridharan |
Tax aspects for re-development projects:
Tax implications on the re-development projects for the existing societies, flat owners and the developers
Special considerations around TDR, conversion of tenancy rights
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CA. Yogesh Thar
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25th June 2022 : 04.00 pm to 07.00 pm |
Law on Reassessment:
Detailed Analysis of changes in Finance Act 2021 and 2022
Impact of notices considering various High Court decisions and way forward for the taxpayers
Dos and Don’ts during reassessment proceedings
Examining efficacy writ jurisdiction for re-assessment notices
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Adv. Saurabh Soparkar
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Laws dealing with Economic offences & Black money and interplay with the Income Tax law:
Overview of the provisions dealing with economic offences (including proceedings with ED) and consequences
Interpretation of Benami law
Role of the tax authorities in proceedings
Overlap of the actions between different Regulators and Tax officers
Implications & consequences under tax laws – especially dealing with income addition, penalty, and prosecution
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Adv. Sagar Tilak |
2nd July 2022 : 04.00 pm to 07.00 pm |
Care and Compliance in undertaking Capital transactions under tax laws:
Different types of capital transactions – such as equity, preference shares, loans, grants, partnership capital and current account balances (both domestic and cross border)
Tax implications, risks, and safeguards at the time of receipt, service, transfer and return of such capital
Implications for resident and non-residents investors and investees
Documentation and Valuation approaches in undertaking capital transactions
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CA. Gautam Doshi, Past Chairman WIRC
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Partnership and LLPs – Tax considerations:
Tax treatment on transactions between partners and firm
Conversions into / from LLP into other business form and associated tax issues and safeguards
Restructuring and re-organisation of the LLPs and associated tax issues
Tax issues relating to foreign LLPs and partnership firms
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CA. Vishal Gada |
9th July 2022 : 04.00 pm to 07.00 pm |
Charitable trusts – Tax considerations:
Tracing the key changes affecting the charitable trusts on the definition of charitable purpose, income definition, application conditions, cancellation as per the Finance Act 2022
Impact of the proviso to section 2(15) of the Act on the charitable purpose
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CA. Ravi B Gupta
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Taxation of Dividend income:
Taxation of distinct types of dividend income streams – dividend on shares of companies, co-operative societies, mutual funds, dividends from Venture Capital Funds and REITs, dividend from foreign companies
Analysis of section 2(22) including the analysis of deemed dividend
Tax issues on dividend earned by non-residents
TDS considerations while making dividend payments to residents and non-residents
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CA. Anish Thacker |