GST on
Notice Period Recovery & Employment Bonds: Decoding the Settled
JurisprudenceThe
applicability of Goods and Services Tax (GST) on recoveries made from employees
has long been a battleground of confli...
Facts of the Case
The
appeals ITA Nos. 1132/2007 & 1152/2007 arise from the common order of
the Assessing Officer, CIT (Appeals), and the ITAT.
ITAT
had disposed of two cross appeals: IT(...
Facts of the Case:
Petitioner, Group Captain J.C. Sen Gupta (Retd.), had been
occupying a 896 sq. ft. property at Vasant Vihar, New Delhi since 1976 as
a tenant under the Delhi Rent Control Act, 1956.
The...
Facts of the CaseThe assessee, Rajendra Seclease Ltd.,
engaged in the business of buying and selling shares, filed its income tax
return for the assessment year 2002-03. The company sold 2,255,500 unquoted
equity shar...
Fact of the CaseThe appellant, C & C Construction Pvt. Ltd.,
challenged the order of the Income Tax Tribunal (ITA No. 4000/Del/2007)
relating to Assessment Year 2003-04. The dispute concerned depreciation claimed
...
Facts of the
CaseMaruti Suzuki India Limited, the petitioner, sought
a writ against the Deputy Commissioner of Income Tax to restrain recovery of
disputed tax demand for AY 2006-07 pending their appeal before the ITAT...
Facts of the
CaseRajendra Seclease Ltd., engaged in trading of
shares, dividends, and securities, filed its return of income for AY 2002-03,
reporting the sale of 2,255,500 unquoted shares at Rs. 5 per share (totaling...
Facts of the
CaseThe appellant, National Cooperative Development
Corporation (NCDC), filed multiple appeals (ITA Nos. 512/2011, 513/2011,
810/2011, 811/2011, 1139/2011, 1140/2011, 1141/2011) under Section 260A of the
...
Facts of the
CaseVodafone Essar Mobile Services Ltd., the
petitioner, filed writ petitions challenging the constitutional validity of the
proviso to Section 201(3) of the Income Tax Act, 1961, as inserted by the
Fina...
Facts of the
CaseThe petitioner, Tata Teleservices Ltd, filed
multiple writ petitions (W.P.(C) Nos. 2024/2011, 2026/2011, 2027/2011,
2030/2011 & 2032/2011) challenging the vires of the proviso to Section
201(3) o...