Friday, January 21, 2011

Sudhir Kapadia

The one thing currently that is bothering corporates is the way in which the Revenue imposes penalty proceedings in the case of adjustments to returned income. The suggestion here is that the Revenue officers ought to exercise discretion and seek to initiate penalty proceedings only when there is mala fide.
Sudhir Kapadia, Partner & Tax Head - Technology, Communications & Entertainment, E&Y
September 19, 11.30 am
July 28, 2009, 7.15 pm (Raintree)
January 21, 2011, 1 pm CII-Conference on International Taxation


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