Facts of the CaseThe petitioner, The Northern India Zonal Assembly of the
Mar Thoma Church, challenged an assessment order dated 30.12.2017 for
Assessment Year 2010–11. The impugned order was based on a reasses...
Facts of the CaseThe petitioner, The Northern India Zonal Assembly of the
Mar Thoma Church, challenged the assessment order dated 28.03.2022
concerning AY 2013–14. The impugned order was based on a reassessment...
Facts of the
CaseThe petitioner/assessee filed a writ petition
challenging the validity of notices issued under Sections 148 and 142(1) of the
Income Tax Act for Assessment Year 2012–13. The reassessment proceedings...
Facts of the CaseThe present writ petition concerns Assessment Year 2019–20,
wherein the petitioner, Sheevam Transolutions Pvt. Ltd., was alleged to
have availed a bogus loan of ₹1,28,00,000/- from an entity named ...
Facts of the
CaseThe petitioner, Pratyaksh Apparels Pvt. Ltd.,
challenged multiple assessment orders dated 28.03.2023 passed for different
Assessment Years (AY 2013–14 to AY 2019–20) under Section 153C read with
...
Issues InvolvedWhether disallowance under Section 14A of the Income Tax Act,
1961 can be made when the assessee has not earned any exempt income during the
relevant assessment year. Petitioner’s Arguments...
Facts of the
CaseThe petitioner, Sanskriti Exim Pvt. Ltd.,
challenged six separate assessment orders passed on 28.03.2023 for
multiple Assessment Years (AYs 2014–15 to 2019–20). These orders were passed
under Sec...
Facts of the CaseThe petitioner, Mask Consultants Pvt. Ltd., challenged:
Notice
dated 20.03.2023 issued under Section 148A(b)
Order
dated 30.03.2023 passed under Section 148A(d)
The petitioner ha...
Facts of the
CaseThe petitioner, Sanskriti Exim Pvt. Ltd.,
challenged multiple assessment orders passed for six different Assessment Years
(2014–15 to 2019–20).
The Assessing Officer (AO) issued notices under Se...
Facts of the CaseThe petitioner, Mask Consultants Pvt. Ltd., challenged:
Notice
dated 20.03.2023 issued under Section 148A(b)
Order
dated 30.03.2023 passed under Section 148A(d)
The petitioner ha...