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关于信用卡债务的英文文献和翻译 第7页

更新时间:2014-6-8:  来源:毕业论文
Maximization of deductions: Except ‘Salaries’ head u/s 21, all other statutory heads of income have provisions  of deductions: section 23 for deductions from “Interest on securities”, section 25 for deductions  from  “Income  from  house  property”,  section  27  for  deductions  from  “Agricultural income”, section 29 for deductions from “Income from business or profession” [along with section 30 for inadmissible expenses from “Income from business or profession”], section 32(1) for deductions from “Capital gains” [along with section 32(12) for restricted deductions from “Capital gains”], and section 34 for deductions from “Income from  other sources”. All these deductions are subject to limits, and conditions and subject to evidential proofs. So  a business entity must be careful about these  conditions, limits  and  authenticity of  the  transactions and  thereby,  disallowances  may  be avoided  and  deductions  can  be  maximized.  See  Appendix-IV  for  the  provision  of  accelerated depreciation (as an alternative to tax holiday) and initial depreciation (as an  extra  allowance in addition to normal depreciation).本文来自辣.文,论-文·网原文请找腾讯752018766

Under section 37, in the year of loss, losses under any head other than two losses – loss in speculation business and loss under the head “Capital gains” –can be set-off against other head(s) except against speculation business income and capital gain. But one speculation business loss can be set off against other speculation business income only and one capital loss can be set off against other capital gain only. Under other provisions of sections 38-42, set-off of losses can be done in future six successive income years only against the concerned head of income and applicable only for following incomes: speculation business income (u/s  39),  other business income (u/s 38), Capital gains (u/s 40), and agricultural income (u/s 41). But in case of capital loss, carry-forward can be done after deduction of Taka 5,000 [u/s 40(3)]. Loss will be calculated for  carry-forward after deducting any cash subsidy from the Government [second proviso to section 37]. Loss due to depreciation can be carried forward for unlimited period [u/s 42]. In case of loss, how to maximize the setting-off of the loss in the year concerned should be given special attention and in case of unset-off  losses,  special tax planning regarding accounting method can help to set off those losses before the expiry of the time limits.
Minimization of the tax rate(s): As noted earlier, marginal tax rate is the relevant tax rate for any business  decision. Sommerfeld et al. (1980: 28/4) have mentioned, “the marginal tax rate is to business affairs what the law of gravity is to physics. Just as water seeks its lowest level (due to the laws of gravity), so also taxable income seeks its lowest marginal tax rate. The tax planning objective is achieved, of course, when the marginal tax rate is minimized.” See Appendix-V for the statutory tax rates for business entities and some other  reduced tax rates for some industrial sectors and some specific types of income.

 
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Maximization of credits/rebates/relief: Final emphasis for tax planning is to be given to maximize tax  credits, tax rebates and tax reliefs. Again these are subject to conditions, limits and special applicability. Appendix-VI shows the areas where one can get these benefits.

Alternative View of Tax Planning Opportunities:
An alternative way of viewing tax-planning opportunities is to observe that income tax is constrained by time, entity, and accounting method. Since income tax rates “start over” with each new tax year and because very few taxpayers have a constant level of taxable income in each year, there tend to be high-tax years and low-tax years. The ‘tax value’ of a deduction is directly dependent on the marginal tax bracket of the party reporting it. Obviously, therefore, taxpayers tend to recognize losses and other deductions in high-tax years and to defer the recognition of taxable income to low-tax years. To the extent that a taxpayer can control tax timing, s/he should do so only after giving full considerations to the time value of money. Sometimes the financial cost of  deferral is greater than the tax benefit (Sommerfeld et al., 1980: 28/5).

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