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WEIGHTAGE - CS EXECUTIVE Both Groups (Chapter Wise) By CS Aspirant Group 1 Company law CHAPTERS PROBABLE MARKS 1 Directors [Section 149 – 205] 25 Marks 2 Share Capital [Section 23 to 70] 15 Marks 3 General Meetings [Section 96 to 122] 10 Marks 4 Accounts [Section 128 to138] Auditor [Section 139 to 148] 16 Marks 5 Dividend [Section 123 to 127] 6 Marks 6 Deposits, Debt Capital, Charges, CSR, Board Report and Disclosures, Company Secretary, Mega Firm, Corporate Reorganization, Introduction and other Miscellaneous chapters 30 Marks Don’t leave any Chapter JIGL 1 Special Courts 5 Marks 2 Constitution 8 - 13 Marks 3 CPC 5 Marks 4 CRPC 5 Marks 5 IPC 8 Marks 6 Evidence 6 Marks 7 Stamp 6 Marks 8 Torts 5- 8 Marks 9 Interpretation 4 Marks 10 Limitation 4 Marks 11 Registration of Documents 5 Marks 12 I...
Here today's questions SBEC (chapter 4-5) Q1 43% of the paid- up share capital of V4C Ltd. is held by the Central Government and 8%is held by Life Insurance Corporation of India and Unit Trust of India. Analyse the definition of ‘government company’ under the provisions of Companied Act, 2013 and decide whether the V4C Ltd. is a government company. Q2. Limited liability partnership is best suited form of entity for professionals. Elaborate. Q3. A shareholder who holds 99% of the share capital of a company can be held liable for the acts of the company. Comment. Ans 1 V4c can't be considered as govt co. Bcz govt's stake is less than 51% Ans 3 Separate legal entity concept. Team CS Aspirant
Concept of Tax Information Exchange Agreement in India with Tax Havens and Secrecy Jurisdictions.
There is a great and importance of Tax Information Exchange Agreement in India because as per section 90(1) of Income Tax Act, 1961, Government of India i.e. Central Government can enter into Double Taxation Avoidance Agreement with other countries so as to avoid double taxation of income in both the countries. The basic concept behind DTAA is to ensure that there should not be undue hardship in the hands of tax payers i.e. income earned in one country should not be taxed twice because of source and residence criteria in both countries and most importantly DTAA contains article usually article no. 26 which deals with Exchange of Tax Information which provides for various tax and financial information about the resident persons who have invested or have any significance financial presence in that territory to the other territory.
But what about other countries where there is no prov...
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