Search and Seizure under the
Income-tax Act, 2025 – Legal FrameworkIntroductionSections 247 to 259 of the
Income-tax Act, 2025 contain the provisions relating to search, seizure,
requisition, retention and applicati...
Facts of the CaseThe
petitioner, M/s Super Cassettes Industries Ltd., was engaged in the business of
manufacturing and sale of audio cassettes, video cassettes, compact discs,
television-related products and allied co...
Facts of the CaseThe Revenue
had filed several appeals before the Income-tax Appellate Tribunal relating to
Assessment Years 1991-92 to 1995-96. During the pendency of those appeals, the
Revenue sought permission to r...
Facts of the CaseThe
assessee obtained an export order for supply of imported video cassettes to
Czechoslovakia. It secured an import licence for importing video cassettes from
a Korean company in Semi Knocked Down (S...
Facts of the CaseThe assessee-company
was a private limited company engaged in agricultural and dairy farming
activities. For Assessment Years 1974-75 and 1975-76, the company did not
declare dividends despite having ...
Facts of the CaseThe
assessee, Kelvinator of India Ltd. (now Whirlpool of India Ltd.), filed its
return for Assessment Year 1987-88 claiming expenditure incurred on maintenance
of guest houses situated in Delhi, Bomba...
Facts of the CaseA group of
writ petitions was filed by Dr. Nalini Mahajan, Ram Lal Mahajan Charitable
Trust, PAN Foods Ltd., Mahajan Industries Pvt. Ltd., and related parties
challenging the legality of search and se...
Facts of the CaseThe
petitioner, Orissa Cement Ltd., filed a writ petition before the Delhi
High Court seeking issuance of a writ of prohibition against the Commissioner
of Income Tax. The petitioner sought to restrai...
Facts of the CaseThe
petitioner, J.K. Synthetics Ltd., a public limited company engaged in
manufacturing activities, was required to file its income-tax return for
Assessment Year 1975-76 by 30 June 1975.Due to
non-f...
Facts of the CaseThe
petitioner, M/s JCT Limited, a public limited company engaged in manufacturing
and sale of textiles, was subjected to a survey under Section 133A of the
Income-tax Act. During the survey, the Depa...