The early GST period created a class of disputes where the substantive controversy may never have been examined at all. In several cases, appeals were rejected only because they were filed beyond the limitation period, leaving taxpayers without a hearing on merits. This issue becomes especially important in cases invol...
Read the full article →Expert writing across every domain, in one place
Analysis, opinions and practice notes on Income Tax, GST, Company Law, Customs, FEMA and the profession — published as they are approved by our editors.
Today's paper
The desks that publish every week.
Also worth reading
All articles →Across every practice area, most recent first.
1. Why Ind AS 115 Transition Requires Special AttentionRevenue accounting is often one of the most sensitive areas when an entity moves from previous...
1. BackgroundThe Ministry of Corporate Affairs, after consultation with the National Financial Reporting Authority, has issued the Companies (Indian A...
The Gujarat High Court’s decision in Torrent Power Ltd. v. Union of India and Others, (2026) TaxCorp(GST) 70620 (HC-GUJARAT) (2026), is an important r...
1. BackgroundThe Ministry of Corporate Affairs, after consultation with the National Financial Reporting Authority, has issued the Companies (Indian A...
This edition of the global financial reporting update covers three important international developments: the FASB’s proposal on cash equivalents and c...
Corporate guarantees have moved from being routine treasury tools within business groups to a major GST litigation issue. In a typical group structure...
Browse by practice area
15,846 articles across 13 practice areas.
Article directory
Every practice area, with what is behind it.