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Commissioner of Income-tax, Delhi-V vs. M/s. Span Industries: Whether Development Rebate Reserve Created After the Accounting Year via Revised Return Complies with Section 34(3) of the Income-tax Act, 1961 — Delhi High Court Case Law

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Facts of the Case Assessee Status & Filing: For the assessment year 1976-77, the assessee, M/s. Span Industries, originally filed its income tax return on July 16, 1976. Omission in Origi...

Commissioner of Income Tax, Delhi - IV, New Delhi vs. M/s. Printpak Machinery Limited, New Delhi: Whether Technical Know-How Expense Claim Under Section 256(1) of Income Tax Act, 1961 is Revenue or Capital in Nature — Scope of Remand to Income-Tax Appellate Tribunal for Fresh Adjudication

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Facts of the Case The Reference: The matter came before the High Court of Delhi as a reference application under Section 256(1) of the Income Tax Act, 1961. The Income-tax Appellate Tribunal (ITAT), D...

Commissioner of Income Tax v. M/s. R.J. Wood & Co. (P) Ltd.: Broadening the Scope of Allowable Business Hospitality and Petty Expenses under Section 37(2B) of the Income Tax Act, 1961

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Facts of the CaseThe dispute arose out of an assessment proceeding concerning the assessee, M/s. R.J. Wood & Co. (P) Ltd., a private limited company engaged in commercial trade. During the relevant assessment perio...

M/s Freeze King Industries Pvt. Ltd. v. Commissioner of Income Tax, Delhi – Allowability of Interest Paid on Instalments for Industrial Plot Acquisition under Sections 37(1) and 43(1) of the Income-tax Act, 1961

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Facts of the CaseM/s Freeze King Industries Private Limited was engaged in the business of manufacturing and selling air-conditioning and refrigeration machinery. For the Assessment Year 1976-77, the company had acquir...

Commissioner of Income Tax, Delhi - III v. Shri Rajinder Kumar Gupta: Interpretation of 'Transfer' Under Section 2(47) and the Legal Boundaries of Extinguishment of Rights for Capital Gains Assessment Under Section 45 of the Income Tax Act, 1961

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Facts of the CaseThe dispute originated from an assessment year wherein the Revenue authorities asserted that a specific transaction undertaken by the assessee, Shri Rajinder Kumar Gupta, amounted to a legal "transfer"...

Pushpa Godhwani vs Commissioner of Income Tax – Inclusion of Disputed Immovable Property in Net Wealth under Section 2(m) of the Wealth-tax Act, 1957 | Delhi High Court

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Facts of the CaseThe assessee, Pushpa Godhwani, filed wealth-tax returns for Assessment Years 1991-92 and 1992-93. In her return for Assessment Year 1992-93, she declared the value of her share in immovable properties ...

Commissioner of Income Tax, Delhi-V, New Delhi vs. M/s. United Engineering Industries, New Delhi: Detailed Judicial Examination of the Eligibility of Domestic Expenditures for Weighted Deduction under Section 35B of the Income Tax Act, 1961

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Facts of the CaseThe litigation originated from an assessment proceeding under the Income Tax Act, 1961, concerning the respondent-assessee, M/s. United Engineering Industries, New Delhi. During the relevant assessment...

Commissioner of Income Tax, Delhi-I v. East West Linkers (P) Ltd. (2001) – Eligibility of Garment Manufacturing Unit for Deduction under Section 80J of the Income-tax Act, 1961

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Facts of the CaseThe dispute related to the Assessment Year 1976-77. The assessee, East West Linkers (P) Ltd., was a private limited company engaged in the business of manufacturing and exporting garments. The assessee...

Brig. Anant Singh vs Commissioner of Income Tax, Delhi-III & Others – Waiver of Interest under Section 215 of the Income-tax Act, 1961 Read with Rule 40 of the Income-tax Rules, 1962 | Delhi High Court

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Facts of the CaseThe petitioner, Brig. Anant Singh, challenged the order dated 29 January 1976 passed by the Income-tax Officer rejecting his application for waiver/reduction of interest charged under Section 215 of th...

Commissioner of Income-tax (Central), Delhi vs. M/s. C. Lyall & Co. (Lucknow Airfield), New Delhi: Taxability of Post-Dissolution Arbitration Receipts Under Section 176(4) of Income-tax Act, 1961 – Validity of Assessment on Non-Existent Firm and Factual Findings of Bona Fide Dissolution by ITAT

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Facts of the CaseThe assessee, M/s. C. Lyall & Co. (Lucknow Airfield), filed its return of income for the Assessment Year (AY) 1973-74 disclosing 'Nil' income. However, in Part-III of the return, the assessee discl...