ICAI Code
of Ethics (13th Edition) – Volume I (Domestic Provisions) – Detailed Key
HighlightsThe 13th
Edition of ICAI Code of Ethics Volume-I is applicable from 1 April 2026.
It contains domestic provisions under...
Assessee got favourable ITC unblocking order, but Department issued rectification beyond 6 months; Karnataka High Court quashed rectification and SCN as time-barred and without jurisdiction.Whether a rectification order ...
🏛️ GSTAT Structure & Statistics at a glance, the tribunal's infrastructure consists of:40+ Locations Across India24 States/UTs covered100+ Officers3 Case CategoriesHierarchy of BenchesPrincipal Bench: New DelhiS...
Facts of the Case
Search
Operations: A search under Section 132(1) of the Income
Tax Act, 1961 was conducted at the residential premises and bank locker of
the Assessee, Ashok Chaddha. During the sear...
Facts of the Case
Corporate
Position and TDS Defaults: The Petitioner served as
the Managing Director of M/s Anil Batra and Associates Private Limited.
During the Assessment Years (AY) 1982-83, 1983-8...
With the Income Tax Department leveraging integrated data analytics and automated matching systems for Assessment Year (AY) 2026-27, even a minor oversight can halt your processing. The department now cross-checks your I...
Facts of the CaseThe case originated from assessment proceedings where the
Assessing Officer (AO) made substantial additions to the taxpayer's total
assessable income during the quantum assessment phase. Believing that...
Facts of the Case
A
search and seizure operation was carried out at the premises of the
appellant/assessee on 6th November 1996. Consequent to this, a notice
dated 5th August 1997 under Section 158BC ...
Facts of the Case
Assessee’s
Business: The respondent/assessee, Sh. Gautam R.
Chadha, operated a proprietary travel agency business under the name and
style of M/s Tirun Travel Marketing. The firm a...
Facts of the Case
The
respondent-assessee filed its initial income tax return for the Assessment
Year (AY) 1999-2000, declaring an income of ₹1,22,460, which was processed
under Section 143(1) of th...