Facts of the CaseFollowing a search and seizure operation conducted at the
respondent’s premises on July 21, 2004, the Revenue initiated proceedings for a
block assessment covering the period from April 1, 1996, to M...
Facts of the Case
The
respondent-assessee (an individual) filed his return of income for the
Assessment Year (AY) 1997-98, declaring an income of ₹8,13,910.
During
the assessment proceedings, the ...
Facts of the Case
The
respondent is an educational institution (school) that has historically
enjoyed tax benefits and exemptions under Section 11, Section 12, and
Section 10(23C)(vi) of the Income Ta...
Facts of the Case
Assessee's
Business: The Respondent-Assessee is a public
limited company engaged in buying and selling shares on its own account,
acting as a share broker, and holding memberships in...
Facts of the Case
The
respondent-assessee is a Chartered Accountant and a director in multiple
finance and hire-purchase companies.
Following
a search operation conducted on a third-party corporate...
Facts of the Case
The
Assessing Officer (AO) made an addition of Rs. 2.26 crores to the
assessee's income.
This
addition was made by disallowing the sum claimed by the assessee as
earnings in ...
Facts of the
CaseSeveral appeals involving different assessees and
the Revenue were heard together as they raised a common legal issue concerning
deductions under Chapter VI-A of the Income-tax Act.The assessees had c...
Facts of the Case
The
Assessing Officer (AO) made additions to the total income of the assessee
under Section 68 of the Income Tax Act.
The
addition was made on the grounds that the assessee failed...
Facts of the CaseThe individual Petitioners (Achin Agarwal, Pradeep Agarwal,
and Geeta Agarwal) approached the Hon’ble High Court of Delhi by filing three
separate civil writ petitions under Article 226 of the Consti...
Facts of the CaseThe assessee, M/s John Tinson & Co. (P) Ltd.,
filed its return for Assessment Year 1993-94 declaring a loss. The Assessing
Officer (AO), however, completed assessment under Section 143(3) and asses...