{"product_id":"taxmanns-law-relating-to-black-money-undisclosed-foreign-income-and-assets-and-imposition-of-tax-act-2015-finance-act-2025","title":"Taxmanns Law Relating to Black Money (Undisclosed Foreign Income and Assets) and Imposition of Tax Act 2015 [Finance Act 2025]","description":"\u003cp\u003eThis Book Provides A Comprehensive And Updated Analysis Of IndiaS Legal Framework To Tackle Undisclosed Foreign Income And Assets. This ActPopularly Called The Black Money ActMandates Disclosure Requirements, Confers Assessment Powers And Prescribes Stringent Penal And Prosecution Provisions. This Edition Discusses Crucial Areas Such As The Scope Of Chargeability, Assessment And Reassessment Procedures, Penalties For NonDisclosure, And Prosecution For Evasion. Given The Evolving Nature Of Black Money Legislation And Limited Judicial Precedents, The Book Is A Critical Guide For Clarifying Uncertainties And Interpreting Grey Areas Of The Law.This Book Is Intended For The Following Audience: Chartered Accountants \u0026amp; Tax Practitioners  Offers Detailed Insights Into The Procedures For Assessment, Penalties, Prosecution, And The Interplay With The IncomeTax Act, 1961, Enabling Practitioners To Advise Clients More Accurately Advocates \u0026amp; Corporate Lawyers  Provides Clarity On Legal Nuances, Prosecution Risks, And Procedural Safeguards Essential For Legal Counsel And Litigation Strategy Finance And Compliance Professionals  Highlights The Compliance Obligations For Resident Indians Holding Foreign Assets Or Earning Foreign Income And Addresses Potential Issues When Converting From NonResident To Resident\/Ordinarily Resident Academicians \u0026amp; Researchers  Supplies Extensive References, Illustrative Case Scenarios, And Critical Commentary On Statutory ProvisionsValuable For Academic Research And Teaching Business Owners \u0026amp; High Net Worth Individuals (Hnwis)  Explains Obligations, Risks, And Best Practices To Avoid Penalties Under The Black Money Act, Particularly If Holding Or Planning Investments Abroadthe Present Publication Is The 4Th Edition | 2025 And Has Been Amended By The Finance Act 2025. This Book Is Authored By Dr Raj K. Agarwal \u0026amp; Dr Rakesh Gupta, With The Following Noteworthy Features: [Latest Amendments] Incorporates All Legislative Changes Introduced By The Finance Act 2025 To Ensure Readers Have The Most Current Legal Positions And Tax Rates [Critical Analysis Of Core Provisions] Each Chapter Offers An InDepth Look At The Scope And Applicability Of The Black Money Act, Including Charge, Valuation, Assessment, Penalty, Prosecution, And Appeal Mechanisms [Expert Commentary] Authored By Two Eminent Professionals With Decades Of Experience In Direct Taxes And Representation Before High Courts And The Supreme Court. [Practical Insights \u0026amp; Litigation Issues] Discusses Emerging Areas Of Litigation, Interpretational Dilemmas, And Practical Scenarios That Practitioners And Taxpayers Commonly Face [Extensive Referencing] Features Relevant Circulars, Notifications, Rules, And Forms, Alongside CrossReferences To Related Provisions Of The IncomeTax Act 1961 And Other Key Legislations [Valuation Rules] A Dedicated Section On Valuation Of Foreign Assets Under The Black Money Act, Clarifying The Methodology For Computing Fair Market Value And Addressing Complex Asset Structuresthe Coverage Of The Book Is As Follows: Legislative Background \u0026amp; Intento Historical Context Behind The Enactment Of The Black Money Acto Statement Of Objects \u0026amp; Reasons; Rationale For A Separate Legislation Distinct From The IncomeTax Act, 1961 Scope \u0026amp; Applicabilityo Obligations For Resident Indians, Particularly Those Transitioning From NonResident To Ordinarily Resident Statuso Analysis Of Undisclosed Foreign Assets And Income, Including Bank Accounts, Financial Interests, And Immovable Properties Assessment \u0026amp; Reassessmento Detailed Procedures Under Sections 1014O No Time Barring Limit: Implications For Older Transactionso Framework For Notices, Satisfaction Recording, And Approval Requirements Recovery, Penalties \u0026amp; Prosecutiono Recovery Provisions (Sections 3040); Attachment Of Assets, Garnishee Notices, And CrossBorder Recoveryo Penalties Under Sections 4147, Including Minimum Penalties, Defences, And Quantum Of Fineso Stringent Prosecution Provisions (Sections 4858), Discussion On Abetment, And Complexities Of Parallel Proceedings Valuation Ruleso Fair Market Value Concept For Foreign Assetso Procedural Requirements And Complianceo Valuation Date Mechanics And RuleBased Calculations Appellate \u0026amp; Revision Mechanismso MultiLayered Appeal Structure (Sections 1529)O Time Limits, Condonation Of Delay, And Powers Of Appellate Forumso Revision Processes And Remedies Available To Assesses Forms, Circulars \u0026amp; Notificationso Appendices Containing Relevant Forms (18) Prescribed Under The Acto Consolidated Cbdt Circulars And Notifications (Updated Up To 2025), Offering Official Clarifications Other Relevant Lawso Extracts Of Other Statutes Referenced In The Black Money Act (Cpc, Ipc, Companies Act, Llp Act, Etc.), Providing Broader Legal Contextthe Structure Of The Book Is As Follows: Introductory Chapters  Laying Out The Legislative Framework And Objectives, Followed By A Systematic Breakdown Of The ActS Major\u003c\/p\u003e","brand":"Taxmann","offers":[{"title":"Default Title","offer_id":45907196117190,"sku":"DADAX9364556615","price":14.49,"currency_code":"USD","in_stock":false}],"thumbnail_url":"\/\/cdn.shopify.com\/s\/files\/1\/0695\/9389\/1014\/files\/71Vw2woXQtL.jpg?v=1780428717","url":"https:\/\/ergodemedia.com\/products\/taxmanns-law-relating-to-black-money-undisclosed-foreign-income-and-assets-and-imposition-of-tax-act-2015-finance-act-2025","provider":"Ergodemedia","version":"1.0","type":"link"}